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UNITED STATES DISTRICT COURT

FOR THE DISTRICT OF COLUMBIA


----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK :
593 Vanderbilt Avenue PMB 281 NYC, NY 11238 :
845-901-6767 chris@strunk.ws, :
and H. WILLIAM VAN ALLEN :
351 North Road Hurley NY 12443 :
845-389-4366 hvanallen@hvc.rr.com :
:
Plaintiffs, : NOTICE OF MOTION
v. :
: TO REARGUE THE
U.S. DEPARTMENT OF STATE (DOS) by
J OHN F. KERRY (SOS) at 2201 C Street NW : ORDER TO DISMISS
Washington, DC 20520 TTY:1-800-877-8339 :
CENTRAL INTELLIGENCE AGENCY AND SUPPLEMENT THE
by J OHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800 : COMPLAINT
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500 :
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE :
Washington, DC 20559-6000 (202) 707-3000 :
and THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at
40 North Pearl Street, Suite 5
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x

PLEASE TAKE NOTICE that upon the annexed affidavit of Christopher-Earl: Strunk affirmed
J une 25. 2014 with exhibits and proposed First Supplement to the Complaint annexed, will move
as of right in compliance with Fed Rules of Civil Procedure and Local Rules to Reargue the
Order to Dismiss entered J une 16, 2014 in order to Supplement the Complaint filed 10 J une 2014
with Fed. R. Civ. P. Rule 15(a)(1)(A), and Rule 19(a)(1)(A)(B), heard before the Honorable
Richard J . Leon USDJ at the designated Courtroom in the Courthouse at 333 Constitution


Avenue NW Washington DC 20001, on a day of J une 2014, at a time designated by the Court or
as soon thereafter as counsel can be heard.

Dated: Brooklyn, New York /s/ agent
June 25
th
, 2014 ____________________________________
Christopher-Earl: Strunk in esse Sui juris
secured beneficiary agent of the Debtor Trust
transmitting utility CHRISTOPHER EARL
STRUNK Plaintiff, the Executor and Settlor
for the Express Deed In Trust To The United
States Of America, located at
593 Vanderbilt Avenue PMB 281
Brooklyn, New York Zipcode excepted 11238
Cell: 845-901-6767 Email: chris@strunk.ws


SERVICE LIST:

U.S. DEPARTMENT OF STATE (DOS)
with J OHN F. KERRY (SOS)
2201 C Street NW
Washington, DC 20520

CENTRAL INTELLIGENCE AGENCY
with J OHN O. BRENNAN, DCI
J udiciary Center Building
Washington, D.C. 20505

BARACK HUSSEIN OBAMA II
Washington DC 20530
1600 Pennsylvania Ave. NW
Washington DC 20500 :

U.S. COPYRIGHT OFFICE
101 Independence Avenue SE


New York, New York 10271

Washington, DC 20559-6000

THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at
40 North Pearl Street, Suite 5
Albany, NY 12207-2729

ERIC HOLDER, US ATTORNEY
GENERAL
950 Pennsylvania Ave NW
Washington DC 20530




The US Attorney for
Washington District of Columbia
555 Fourth Street NW
Eric Schneiderman, Attorney General for
The State of New York
120 Broadway 25
th
Floor
H. William Van Allen
351 North Road
Hurley, New York 12443

MICHAEL SHRIMPTON
8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF





UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK :
593 Vanderbilt Avenue PMB 281 NYC, NY 11238 :
845-901-6767 chris@strunk.ws, :
and H. WILLIAM VAN ALLEN :
351 North Road Hurley NY 12443 :
845-389-4366 hvanallen@hvc.rr.com :
:
Plaintiffs, :
v. :
:
U.S. DEPARTMENT OF STATE (DOS) by
J OHN F. KERRY (SOS) at 2201 C Street NW :
Washington, DC 20520 TTY:1-800-877-8339 :
CENTRAL INTELLIGENCE AGENCY
by J OHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800 :
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500 :
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE :
Washington, DC 20559-6000 (202) 707-3000 :
and THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at
40 North Pearl Street, Suite 5
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x

PLAINTIFF STRUNK AFFIDAVIT IN SUPPORT OF THE NOTICE OF MOTION TO
REARGUE THE ORDER TO DISMISS AND TO SUPPLEMENT THE COMPLAINT
STATE OF NEW YORK )
) ss.
COUNTY OF KINGS )

Accordingly, I, Christopher Earl Strunk, being duly sworn, depose and say under penalty of perjury:

Affidavit in support of Motion to Reargue Page 1 of 10

1. Movant is Plaintiff, CHRISTOPHER EARL STRUNK, public officer Executor for the
Express Deed in Trust to the United States of America under 12 USC 95 with 50 USC App.
5(b) and related Law explained in Complaint Exhibit 13, affirms this affidavit in support if
his Notice of Motion in compliance with Fed Rules of Civil Procedure and Local Rules to
Reargue the Order to Dismiss by the Honorable Richard J . Leon USDJ and entered J une 16,
2014 (see Exhibit A), and as of right to Supplement the Complaint filed 10 J une 2014 with
Fed. R. Civ. P. Rule 15(a)(1)(A), and Rule 19(a)(1)(A)(B) (see the proposed First
Supplement with Exhibit 14 thru 20 to the Complaint with Exhibits 1 thru 13 filed on J une
10, 2014.
2. That Affirmant wishes to comply with the Order to Dismiss entered on J une 16, 2014 with
the demand that the Complaint having been filed requires a more simple, concise, and
direct definite statement in keeping with Fed. R. Civ. P. Rule 8(d)(1) and to include all
essential parties-in-interest with Supplemental Plaintiff MICHAEL SHRIMPTON with
Christopher Earl Strunk in esse Sui juris secured beneficiary agent for debtor trust
transmitting utility CHRISTOPHER EARL STRUNKPlaintiff (STRUNK), and Harold
William Van Allen in esse surety-indenture for debtor trust H. WILLIAM VAN ALLEN
Plaintiff (VAN ALLEN), hereinafter known as the Petitioners, that bring this Complaint with
Petition for a writ of mandamus and preliminary injunction for hearing the facts of the
complaint for equity relief under 28 USC 2201 and 2202, and it being alleged that there is a
matter of malicious infringement of fundamental rights of the posterity of private citizens of
the United States that inter alia under color of law is a matter of diversity by interference
with a contract and judicial process that with such wrongful acts of perjury, spoliation,
concealment, intimidation, forgery, use of false instruments, aiding and abetting the enemy
Affidavit in support of Motion to Reargue Page 2 of 10

while under a state of war or national emergency, is misprision of felony, misprision of
treason and treason per se done individually and or jointly by the captioned Defendants; and
hereinafter upon information, belief and or with direct knowledge Petitioners allege of
Defendants and Supplemental Defendants with five (5) Exhibits 14 thru 18 as to: RANDOM
HOUSE, LLC., PENGUIN RANDOM HOUSE FOUNDATION, INC. and MICHAEL
GREAVES as to entities RANDOM HOUSE, INC. and THE NEW YORK TIMES BOOK
CO., INC. (aka TIMES BOOKS INC); ACTON, DYSTEL, LEONE & J AFFE, INC.; and
J ANE D. DYSTEL, individually and severally that:
3. That Mr. SHRIMPTON had solely intended to testify as an expert witness as to facts
and direct experience related to the ineligibility of Defendant BARACK HUSSEIN
OBAMA II to the Office of President of the United States (POTUS), and as sworn to
May 1, 2014 by the Affidavit shown in the Complaint as Exhibit 4, and as to
transactions of this case however was maliciously blocked from doing so and were the
Order to Dismiss to remain unchallenged Mr. SHRIMPTON and Plaintiffs would be
barred by the Doctrine of res adjudicata and collateral estoppel from further litigation.
4. There is a requirement under the Rules that all essential parties be joined by necessity
and therefore Affirmant complies with FDCvP Rule 19(a)(1)(A)(B) and applies as follows:
Rule 19. Required Joinder of Parties
(a) PERSONS REQUIRED TO BE JOINED IF FEASIBLE.
(1) Required Party. A person who is subject to service of process and whose
joinder will not deprive the court of subject matter jurisdiction must be joined as
a party if: (A) in that persons absence, the court cannot accord complete relief
among existing parties; or (B) that person claims an interest relating to the
subject of the action and is so situated that disposing of the action in the persons
absence may: (i) as a practical matter impair or impede the persons ability to
protect the interest; or (ii) leave an existing party subject to a substantial risk of
incurring double, multiple, or otherwise inconsistent obligations because of the
interest.

Affidavit in support of Motion to Reargue Page 3 of 10

5. There is a requirement under the Rules that all essential parties be joined by Court
Order with FDCvP Rule 19(a)(2) and applies to Mr. SHRIMPTON under the present
circumstances as follows:
(2) Joinder by Court Order. If a person has not been joined as required, the court
must order that the person be made a party. A person who refuses to join as a
plaintiff may be made either a defendant or, in a proper case, an involuntary
plaintiff.

6. There is a requirement under the Rules that the Court determine whether or not all
essential parties be joined by necessity and therefore Affirmant complies with FDCvP
Rule 19(b) and applies as follows:
(b) WHEN JOINDER IS NOT FEASIBLE. If a person who is required to be
joined if feasible cannot be joined, the court must determine whether, in equity
and good conscience, the action should proceed among the existing parties or
should be dismissed. The factors for the court to consider include:
(1) the extent to which a judgment rendered in the persons absence might
prejudice that person or the existing parties;
(2) the extent to which any prejudice could be lessened or avoided by:
(A) protective provisions in the judgment; (B) shaping the relief; or
(C) other measures; (3) whether a judgment rendered in the persons absence
would be adequate; and (4) whether the plaintiff would have an adequate
remedy if the action were dismissed for nonjoinder.

7. That according to 28 U.S. Code 1332 Mr. SHRIMPTON is a nonimmigrant has a
Diversity of citizenship as alleged in the Complaint First through Fifth Cause of Action in
regards to his scheduled expert testimony effecting his publishing costs for SPYHUNTER:
The Secret History of German Intelligence in the United States and elsewhere that amount
in a controversy under section (a) The district courts shall have original jurisdiction of all
civil actions where the matter in controversy exceeds the sum or value of $75,000, exclusive
of interest and costs, and is between (2) citizens of a State (New York and Washington
District of Columbia) and citizens or subjects of a foreign state (United Kingdom); and (3)
citizens of different States (New York and Washington District of Columbia) and in which
Affidavit in support of Motion to Reargue Page 4 of 10

citizens or subjects of a foreign state (United Kingdom) are additional parties;
8. That as for supplemental defendants relevant to the overall gravamen of this complaint is for
the Court to determine whether Plaintiff STRUNK as a public officer as I contend has raised
sufficient evidence that is readily available to the Court to declare that Plaintiffs have proven
that Defendant BARACK HUSSEIN OBAMA II is not eligible to hold the office of
President of the United States (POTUS) under the Constitution for the United States Article 2
Section 1 Clause 5, and in that regard Plaintff Strunk wishes to add additional supplemental
Defendants to provide a preponderance of evidence for the Court to so Declare ineligibility.
9. That Defendant RANDOM HOUSE, LLC., a Delaware Corporation filed September 20,
1994 in New York with designated agent KATHERINE J . TRAGER C/O RANDOM
HOUSE LLC 1745 BROADWAY NEW YORK, NEW YORK, 10019
10. That Defendant PENGUIN RANDOM HOUSE FOUNDATION, INC. a Delaware
Corporation filed September 20, 1994 in New York with designated agent J ACQUELINE
CHASEY, ESQ. c/o BERTELSMANN, INC. 1745 Broadway New York, New York, 10019;
11. That Defendants RANDOM HOUSE, LLC., and PENGUIN RANDOM HOUSE
FOUNDATION, INC are liable entities for the merger with RANDOM HOUSE INC.
12. That RANDOM HOUSE, INC. published the Book Dreams From My Father in 1995.
13. That THE NEW YORK TIMES BOOK CO., INC. (aka TIMES BOOKS INC.) had a role
in the publishing of the Book Dreams From My Father in 1995 ;
14. That Defendant MICHAEL GREAVES was the agent for RANDOM HOUSE INC. and
TIMES BOOKS INC. that on October 30, 1995 filed the copyright application with the US
Copyright Office for Dreams From My Father in conjunction with J ANE D. DYSTEL.
15. That Defendant JANE D. DYSTEL is the literary agent for the Book Dreams From My
Affidavit in support of Motion to Reargue Page 5 of 10

Father published in 1995 for the author Barack Hussein Obama II, and done while
incorporated with ACTON, DYSTEL, LEONE & J AFFE, INC. of 79 Fifth Avenue New
York, NY 10003; and that now is the entity Defendant J ANE DYSTEL LITERARY
MANAGEMENT INC. located at Union Square West #904 New York, New York, 10003
16. That in 1995 in conjunction with the publishing of the Book Dreams From My Father
Defendants DYSTEL and GREAVES used the biography given by the author BARACK
HUSSEIN OBAMA II, in the publication, copyright and sales of the Book for 17 years,
and therein stated that the author Barack Obama was Born in Kenya shown as the
Supplement Exhibit 14.
17. That starting in December 2013, STRUNK attempted to obtain a copy of the Copyright
filed with the US Copyright Office on October 30, 1995 to no avail has been withheld.
18. That in January 2014 STRUNK received a PDF by email purported to be the copy of the
actual copyright for Dream From My Father of 1995 shown as Supplement Exhibit 15.
19. That during January 2014 Defendant DYSTEL suggested that she falsely manufactured
the biography for the author Barack Hussein Obama II with the allegation that he had
been born in Kenya when in fact DYSTEL was certain he was born in the USA.
20. That the purported replica of the actual copyright for Dreams From My Father shown
as Exhibit 15 is a crude falsified instrument with so many errors and anomalies that
only further heightens the suspicion that BARACK HUSSEIN OBAMA II was as Mr.
Shrimpton contends by the sworn affidavit shown as Exhibit 4 that in fact Defendant
OBAMA was born in KENYA not the USA.
21. That the above evidence gives credence for further suspicions raised since 2008 that is
alleged as the Complaint Seventh Cause of Action that Defendant OBAMA is not born
in Hawaii as is further supported by the analysis of document expert PAUL EDWARD
Affidavit in support of Motion to Reargue Page 6 of 10

IREY who on December 4, 2012 swore to an affidavit that the purported Certificate of
Live Birth (CoLB) presented by Defendant OBAMA and his agents at a White House
Press Conference on April 27, 2011, and is in fact proven to be a crude falsified
instrument that was thereafter used to obtain Ballot access at the 2012 General
Election shown as Supplement Exhibit 16.
22. That since December 4, 2012 Mr. IREY has done further analysis of the false
instrument shown as Exhibit 16, and is further proof of a crime involves the purported
CoLB by the false instrument of JOHANNA SOLANGE SIERRA OK-HEE ANNEE.
23. That on June 23, 2014 Mr. IREY forwarded to me his expert analysis of the further
proof that the same forger did both false instruments of JOHANNA SOLANGE
SIERRA OK-HEE ANNEE and those used by Defendant OBAMA shown as Supplement
Exhibit 17.
24. That STRUNK alleges as to the Seventh Cause of Action that a false instrument
purported to be the copyright of 1995 shown as Exhibit 15 had first been faxed to
whomever forged or tendered the instrument and that based upon the anomaly left by
the faxed roll paper low stripe on the left side of both pages that it had been there
before the forger added photoshoped appliqus that is proven by the stark difference in
the before and after letter / line degradation, alleges Mr. OBAMA was born in the USA
rather than Kenya.
25. That in addition to the proof of the false instrument shown as Exhibit 15 being faxed
and leaving a signature of that mechanical operation, Mr. IREY performed an analysis
shown as Supplement Exhibit 18 with the same methods used as shown with Exhibit 16
and Exhibit 17.
26. That STRUNK as the public officer Executor for theExpress Deed in Trust to the United
Affidavit in support of Motion to Reargue Page 7 of 10

States of America, as explained in Exhibit 13 has standing to challenge any incumbent and or
candidate who by preponderance of evidence is not eligible under the Constitution for the
United States Article 2 Section 1 Clause 5 for office of POTUS, has an obligation to the
beneficiaries of the Deed in Trust to seek and obtain equity relief by this Court based upon
the evidence that Defendant BARACK HUSSEIN OBAMA II is not eligible to be POTUS.
27. That STRUNK, unlike Mr. VAN ALLEN, is a private citizen of the United States entitled to
the full and complete protection of the Constitution for the United States of America and its
associated amendments unlike those who remain the surety-indenture to the U.S. Public
Citizen debtor entities by operation of 12 USC 95 and 50 USC App. 5(b) with related law by
the Usurpers annual renewed national emergency or state of war Orders are void ab initio.
28. That STRUNK has been outrageously harmed by the sanction in the total amount of more
than $177,000 by Order of J udge Arthur M. Schack J ustice of the New York Supreme Court
in the County of Kings in case Strunk v NYS Board of Elections et al. Index No. 6500-2011
for having alleged that Defendant BARACK HUSSEIN OBAMA II is ineligible to occupy
the Office of President of the United States Executive and Commander-in-chief would be
exonerated of such sanction were Supplemental Plaintiffs expert testimony, cross
examination and further discovery as to the truth of his allegations were presented at trial.
29. That STRUNK alleges and has proven the ineligibility of BARACK HUSSEIN OBAMA II,
is not born on soil of even of one US Citizen parent much less two (as defined in Exhibit 13)
and Mr. OBAMA is willfully culpable with those Defendants and agents who promoted
the 2008 / 2012 usurpation of POTUS commander-in-chief office in charge of the defacto
Federal and States Court system by operation of law by void ab initio Executive Orders.
30. That for STRUNK to exonerate himself requires a trial by JURY, in light of the Courts
reluctance to honor STRUNKs public duty to the posterity of the Deed in Trust.
Affidavit in support of Motion to Reargue Page 8 of 10

31. That the records and index of Mr. OBAMAs foreign student funding while attending
Columbia University in New York is recorded at the NYS Higher Education Services
Corporation associated with Federal funds, have been withheld shown as Supplement
Exhibit 19, and is the subject of the request for subpoenas now before the Honorable
David I. Schmidt in Strunk v. Paterson et al. NYS SC Kings County Index No 29642-
2008, shown as Supplement Exhibit 20.
32. That STRUNK at trial requires the testimony of Mr. SHRIMPTON, Mr. IREY, and by
the Defendants as to facts and documents requested by subpoena issued by this Court.
33. Plaintiff STRUNK wishes by the above aforementioned supplemental reasons and
those of the Complaint, that this Court Mandate and Order the U.S. Department of
State to provide a non-immigrant visa to Mr. SHRIMPTON, that the US Copyright
Office release the actual certified copy of the 1995 copyright of Dreams From My
Father, and or Defendants agencies under their control release documents proving
ultra vires acts of Defendants and or their agents to spoliate conceal and destroy records
and interfere with the conduct of judicial proceedings and provision of justice; and that
this court take supplemental jurisdiction over the NYS BOE to immediately order the
turn-over of the documents referred to above regarding the outrageous use of the born
a citizen term rather than the Constitutionally mandated use of the natural-born
Citizen term of art to be used exclusively as to the eligibility of a natural-born Citizen
private citizen of the United States for POTUS and who is no longer surety-indenture of
the debtor owned by the United States in service of the creditors to the United States
debt under the provision of martial process with 12 USC 95 and 50 USC App. 5(b) and
related law, and that the expert testimony by MICHAEL SHRIMPTON and PAUL
EDWARD IREY be scheduled for hearing in regards to a preliminary injunction for a
Affidavit in support of Motion to Reargue Page 9 of 10

declaratory judgment stating simply that BARACK HUSSEIN OBAMA II is not eligible
for the Office of POTUS according to the Constitution for the United States Article 2
Section 1 Clause 5, and letting the chips fall where they may fall as matter of grave
national security for Congress to remedy exclusively, and that the Court for the other
causes of action provide for further and different relief including a jury trial.
WHEREFORE, Plaintiff STRUNK wishes the Court to grant this motion to reargue the
Order to dismiss and that essential parties to this instant action be added, along with the
additional transactions being germane herein for justice to be done, and that the changes to
the caption of the Supplement as to existing defendants be incorporated into the court
record for the issuance of additional summons to each defendants and for a preliminary
hearing be scheduled by the court along with subpoenas with further and different relief as
the court deems necessary.

I have read the foregoing along with the annexed First Supplement to the Complaint with
Petition for Extraordinary Relief in the Nature of a Writ of Mandamus and I know its contents;
the facts stated in the Petition are true to my own personal knowledge, except as to the matters
therein stated to be alleged on information and belief, and as to those matters I believe it to be
true. The grounds of my beliefs as to all matters not stated upon information and belief are as
follows: 3
rd
parties, books and records, and personal knowledge. except as to those stated upon
information and belief, which I believe to be true.
/s/ agent
________________________
Christopher Earl Strunk
Sworn to before me
This 25
th
day of J une 2014

/s/
_____________________
Notary Public
Affidavit in support of Motion to Reargue Page 10 of 10
Case 1:14-cv-00995-RJL Document 4 Filed 06/16/14 Page 1 of 2
Case 1:14-cv-00995-RJL Document 4 Filed 06/16/14 Page 2 of 2

UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
----------------------------------------------------------------x -

NOW COMES CHRISTOPHER EARL STRUNK, public officer Executor for the
Express Deed in Trust to the United States of America under Fed. R. Civ. P. Rule 15(a)(1)(A),
SUPPLEMENT TO THE COMPLAINT Page 1 of 10

and Rule 19(a)(1)(A)(B), with this First Supplement to the Complaint filed on J une 10, 2014 (see
annexed with Exhibits 1 thru 13), wishing to comply with the Order to Dismiss signed J une 13,
2014 by the Honorable Richard J . Leon entered on J une 16, 2014 with the demand that the
Complaint having been filed requires a more simple, concise, and direct definite statement in
keeping with Fed. R. Civ. P. Rule 8(d)(1) include all essential parties-in-interest with
Supplemental Plaintiff MICHAEL SHRIMPTON with Christopher Earl Strunk in esse Sui juris
secured beneficiary agent for debtor trust transmitting utility CHRISTOPHER EARL
STRUNKPlaintiff (STRUNK), and Harold William Van Allen in esse surety-indenture for
debtor trust H. WILLIAM VAN ALLEN Plaintiff (VAN ALLEN), hereinafter known as the
Petitioners, that bring this Complaint with Petition for a writ of mandamus and preliminary
injunction for hearing the facts of the complaint for equity relief under 28 USC 2201 and 2202,
and it being alleged that there is a matter of malicious infringement of fundamental rights of the
posterity of private citizens of the United States that inter alia under color of law is a matter of
diversity by interference with a contract and judicial process that with such wrongful acts of
perjury, spoliation, concealment, intimidation, forgery, use of false instruments, aiding and
abetting the enemy while under a state of war or national emergency, is misprision of felony,
misprision of treason and treason per se done individually and or jointly by the captioned
Defendants; and hereinafter upon information, belief and or with direct knowledge Petitioners
allege of Defendants and Supplemental Defendants with five (5) Exhibits 14 thru 18 as to:
RANDOM HOUSE, LLC., PENGUIN RANDOM HOUSE FOUNDATION, INC. and
MICHAEL GREAVES as to entities RANDOM HOUSE, INC. and THE NEW YORK TIMES
BOOK CO., INC. (aka TIMES BOOKS INC); ACTON, DYSTEL, LEONE & J AFFE, INC.;
and J ANE D. DYSTEL, individually and severally that:
SUPPLEMENT TO THE COMPLAINT Page 2 of 10

1. That Supplemental Plaintiff MICHAEL SHRIMPTON, Esquire, is a British Subject and
a British Citizen, born on the 9
th
day of March 1957, with my place of business located
at 8 Jusons Glebe, Wendover, of Buckinghamshire, United Kingdom HP22 6PF.
2. That Mr. SHRIMPTON is a barrister in independent practice, called to the Bar by
Grays Inn at Michaelmas 1983. I am also an independent intelligence consultant and
author, formerly a member of the Adjunct Faculty of the American Military University
(AMU), which is accredited to the Department of Defense. I taught at AMU on the
Masters in Strategic Intelligence program (since this affidavit is being used in an
American court, as a courtesy, I am using American English, or what I fondly imagine
to be American usage). My book Spyhunter: A Secret History of German Intelligence was
published in England by June Press (Totnes, in the County of Devonshire) on April 15
th

2014. Spyhunter is a 711 page intelligence text (see the annexed blurb). I also write a
weekly intelligence column for www.VeteransToday.com and have had a peer-reviewed
article published in the Journal of International Security Affairs, published by the
reputable Jewish Institute for National Security Affairs (JINSA). I have participated in
JINSA expert panels on counterterrorism in Washington and at the Simon Wiesenthal
Center in Los Angeles. I was a speaker at both the Intelligence Conference at Crystal
City, VA in 2005 and the Intelligence Summit, at the same venue, the following year.
Shortly after the Summit concluded the United States Navy were gracious enough to fly
me out to the nuclear-powered aircraft carrier USS Enterprise (CVN-65) at sea, in a
Northrop Grumman C-2A Greyhound, as part of their Distinguished Visitor Program. I
am a member in good standing of the Royal United Services Institute and the United
States Naval Institute. I was invited to join British Mensa in 2012 and am SIGSec of
their Intelligence and National Security Special Interest Group. I attended the launch
SUPPLEMENT TO THE COMPLAINT Page 3 of 10

of the United Kingdom National Defence Association in 2007, am a founder member and
a member of their advisory council, which has gone through various guises since being
set up (it is a largely honorific post and the council does not meet as a body). A number
of former Chiefs of the UK Defence Staff are Patrons of UKNDA, whose main aim is to
encourage support for our fighting services and press for an increase in their lamentably
low budget, even lower than the Pentagons, I am sorry to say.
3. That in 1992 Mr. SHRIMPTON was appointed a part-time Chairman of the
Immigration Appeal Tribunal (IAT) by the then Lord High Chancellor of Great Britain,
Lord Mackay of Clashfern. The IAT heard immigration appeals from all over the
United Kingdom, including Scotland, and the Islands. It was both an appellate and first
instance tribunal, with legally qualified chairmen sitting with lay members, usually
two. The lay members tended to have military, intelligence or colonial experience, but
they came from all walks of life and had varied backgrounds. First instance cases were
heard under s.3(5)(b) of the Immigration Act 1971 (Imp.) and consisted of appeals
against decisions to deport on the ground that it was conducive to the public good,
usually following a sentence of imprisonment for a serious crime, such as narcotics
trafficking.
4. That in 1995, Mr. SHRIMPTON was appointed additionally to serve as an Immigration
Adjudicator and Special Adjudicator. Special Adjudicators, now known as Immigration
Judges, heard appeals against refusal of political asylum in the United Kingdom. The
IAT was abolished not long after I retired from it in 2005. It is right to say that I was
prevented from sitting after November 2003 and that when I resigned I was in dispute
with the Lord High Chancellor of Great Britain and Secretary of State for
Constitutional Affairs, Lord Falconer of Thoroton QC. This is not the place to go into
the rights and wrongs of that dispute, but it flowed from my intelligence work and
SUPPLEMENT TO THE COMPLAINT Page 4 of 10

followed a bad faith complaint in June 2002 to my professional body, the Bar Council, by
a Citizen of the Islamic Republic of Iran, whom I was advised was connected to their
intelligence service, VEVAK. That complaint in turn followed my successful
representation of an officer of the US Central Intelligence Agency (CIA) who had been
instrumental in expanding the CIAs network inside Iran after the 1979 Iranian
Revolution. VEVAK, working with the Iraqi Mukhabarat, were involved in the
prosecution of this officer, indeed it transpired that VEVAK had an asset inside the
Crown Prosecution Service, E. I was partially responsible for the exposure of E, who
was thought to have an Iraqi background but whose family in fact came from Iran. My
former client had a distinguished CIA career and was formerly a Lockheed U-2 pilot,
indeed he was on the U-2 shakedown program.
5. That Mr. SHRIMPTON intends to testify as an expert witness as to facts and direct
experience related to the ineligibility of Defendant BARACK HUSSEIN OBAMA II to
the Office of President of the United States (POTUS), and as sworn to May 1, 2014 by
the Affidavit shown in the Complaint as Exhibit 4, and as to transactions of this case.
6. That according to 28 U.S. Code 1332 Mr. SHRIMPTON as a nonimmigrant has a
Diversity of citizenship as alleged in the Complaint First through Fifth Cause of Action in
regards to his scheduled expert testimony effecting his publishing costs for SPYHUNTER:
The Secret History of German Intelligence in the United States and elsewhere that amount
in a controversy under section (a) The district courts shall have original jurisdiction of all
civil actions where the matter in controversy exceeds the sum or value of $75,000, exclusive
of interest and costs, and is between (2) citizens of a State (New York and Washington
District of Columbia) and citizens or subjects of a foreign state (United Kingdom); and (3)
citizens of different States (New York and Washington District of Columbia) and in which
SUPPLEMENT TO THE COMPLAINT Page 5 of 10

citizens or subjects of a foreign state (United Kingdom) are additional parties;
7. That Defendant RANDOM HOUSE, LLC., a Delaware Corporation filed September 20,
1994 in New York with designated agent KATHERINE J . TRAGER C/O RANDOM
HOUSE LLC 1745 BROADWAY NEW YORK, NEW YORK, 10019
8. That Defendant PENGUIN RANDOM HOUSE FOUNDATION, INC. a Delaware
Corporation filed September 20, 1994 in New York with designated agent J ACQUELINE
CHASEY, ESQ. c/o BERTELSMANN, INC. 1745 Broadway New York, New York, 10019;
9. That Defendants RANDOM HOUSE, LLC., and PENGUIN RANDOM HOUSE
FOUNDATION, INC are liable entities for the merger with RANDOM HOUSE INC.
10. That RANDOM HOUSE, INC. published the Book Dreams From My Father in 1995.
11. That THE NEW YORK TIMES BOOK CO., INC. (aka TIMES BOOKS INC.) had a role
in the publishing of the Book Dreams From My Father in 1995 ;
12. That Defendant MICHAEL GREAVES was the agent for RANDOM HOUSE INC. and
TIMES BOOKS INC. that on October 30, 1995 filed the copyright application with the US
Copyright Office for Dreams From My Father in conjunction with J ANE D. DYSTEL.
13. That Defendant JANE D. DYSTEL is the literary agent for the Book Dreams From My
Father published in 1995 for the author Barack Hussein Obama II, and done while
incorporated with ACTON, DYSTEL, LEONE & J AFFE, INC. of 79 Fifth Avenue New
York, NY 10003; and that now is the entity Defendant J ANE DYSTEL LITERARY
MANAGEMENT INC. located at Union Square West #904 New York, New York, 10003
14. That in 1995 in conjunction with the publishing of the Book Dreams From My Father
Defendants DYSTEL and GREAVES used the biography given by the author BARACK
HUSSEIN OBAMA II, in the publication, copyright and sales of the Book for 17 years,
and therein stated that the author Barack Obama was Born in Kenya (see Exhibit 14).
SUPPLEMENT TO THE COMPLAINT Page 6 of 10

15. That starting in December 2013, STRUNK attempted to obtain a copy of the Copyright
filed with the US Copyright Office on October 30, 1995 to no avail has been withheld.
16. That in January 2014 STRUNK received a PDF by email purported to be the copy of the
actual copyright for Dream From My Father of 1995 (see Exhibit 15).
17. That during January 2014 Defendant DYSTEL suggested that she falsely manufactured
the biography for the author Barack Hussein Obama II with the allegation that he had
been born in Kenya when in fact DYSTEL was certain he was born in the USA.
18. That the purported replica of the actual copyright for Dreams From My Father shown
as Exhibit 15 is a crude falsified instrument with so many errors and anomalies that
only further heightens the suspicion that BARACK HUSSEIN OBAMA II was as Mr.
Shrimpton contends by the sworn affidavit shown as Exhibit 4 that in fact Defendant
OBAMA was born in KENYA not the USA.
19. That the above evidence gives credence for further suspicions raised since 2008 that is
alleged as the Complaint Seventh Cause of Action that Defendant OBAMA is not born
in Hawaii as is further supported by the analysis of document expert PAUL EDWARD
IREY who on December 4, 2012 swore to an affidavit that the purported Certificate of
Live Birth (CoLB) presented by Defendant OBAMA and his agents at a White House
Press Conference on April 27, 2011, and is in fact proven to be a crude falsified
instrument that was thereafter used to obtain Ballot access at the 2012 General
Election (see Exhibit 16).
20. That since December 4, 2012 Mr. IREY has done further analysis of the false
instrument shown as Exhibit 16, and is further proof of a crime involves the purported
CoLB by the false instrument of JOHANNA SOLANGE SIERRA OK-HEE ANNEE.
21. That on June 23, 2014 Mr. IREY forwarded to me his expert analysis of the further
proof that the same forger did both false instruments of JOHANNA SOLANGE
SUPPLEMENT TO THE COMPLAINT Page 7 of 10

SIERRA OK-HEE ANNEE and those used by Defendant OBAMA (see Exhibit 17).
22. That STRUNK alleges as to the Sixth Cause of Action that a false instrument purported
to be the copyright of 1995 shown as Exhibit 15 had first been faxed to whomever forged
or tendered the instrument and that based upon the anomaly left by the faxed roll paper
low stripe on the left side of both pages that it had been there before the forger added
photoshoped appliqus that is proven by the stark difference in the before and after
letter / line degradation, alleges Mr. OBAMA was born in the USA rather than Kenya.
23. That in addition to the proof of the false instrument shown as Exhibit 15 being faxed
and leaving a signature of that mechanical operation, Mr. IREY performed an analysis
(see Exhibit 18) with the same methods used as shown with Exhibit 16 and Exhibit 17.
24. That STRUNK as the public officer Executor for theExpress Deed in Trust to the United
States of America, as explained in Exhibit 13 has standing to challenge any incumbent and or
candidate who by preponderance of evidence is not eligible under the Constitution for the
United States Article 2 Section 1 Clause 5 for office of POTUS, has an obligation to the
beneficiaries of the Deed in Trust to seek and obtain equity relief by this Court based upon
the evidence that Defendant BARACK HUSSEIN OBAMA II is not eligible to be POTUS.
25. That STRUNK, unlike Mr. VAN ALLEN, is a private citizen of the United States entitled to
the full and complete protection of the Constitution for the United States of America and its
associated amendments unlike those who remain the surety-indenture to the U.S. Public
Citizen debtor entities by operation of 12 USC 95 and 50 USC App. 5(b) with related law by
the Usurpers annual renewed national emergency or state of war Orders are void ab initio.
26. That STRUNK has been outrageously harmed by the sanction in the total amount of more
than $177,000 by Order of J udge Arthur M. Schack J ustice of the New York Supreme Court
in the County of Kings in case Strunk v NYS Board of Elections et al. Index No. 6500-2011
SUPPLEMENT TO THE COMPLAINT Page 8 of 10

for having alleged that Defendant BARACK HUSSEIN OBAMA II is ineligible to occupy
the Office of President of the United States Executive and Commander-in-chief would be
exonerated of such sanction were Supplemental Plaintiffs expert testimony, cross
examination and further discovery as to the truth of his allegations were presented at trial.
27. That STRUNK alleges and has proven the ineligibility of BARACK HUSSEIN OBAMA II,
is not born on soil of even of one US Citizen parent much less two (as defined in Exhibit 13)
and Mr. OBAMA is willfully culpable with those Defendants and agents who promoted
the 2008 / 2012 usurpation of POTUS commander-in-chief office in charge of the defacto
Federal and States Court system by operation of law by void ab initio Executive Orders.
28. That for STRUNK to exonerate himself requires a trial by JURY, in light of the Courts
reluctance to honor STRUNKs public duty to the posterity of the Deed in Trust.
29. That the records and index of Mr. OBAMAs foreign student funding while attending
Columbia University in New York is recorded at the NYS Higher Education Services
Corporation associated with Federal funds, have been withheld see Exhibit 19, and is
the subject of the request for subpoenas now before the Honorable David I. Schmidt in
Strunk v. Paterson et al. NYS SC Kings County Index No 29642-2008, see Exhibit 20.
30. That STRUNK at trial requires the testimony of Mr. SHRIMPTON, Mr. IREY, and by
the Defendants as to facts and documents requested by subpoena issued by this Court.
WHEREFORE, Plaintiff STRUNK wishes by the above aforementioned supplemental
reasons and those of the Complaint, that this Court Mandate and Order the U.S.
Department of State to provide a non-immigrant visa to Mr. SHRIMPTON, that the US
Copyright Office release the actual certified copy of the 1995 copyright of Dreams From My
Father, and or Defendants agencies under their control release documents proving ultra
vires acts of Defendants and or their agents to spoliate conceal and destroy records and
SUPPLEMENT TO THE COMPLAINT Page 9 of 10
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 14

UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 15
A d d i ti o n a l C e r ti f i c a te ( 1 7 U . S , C . 7 0 6 )
Certificate of Registration
FORMTX
Fo r a l i te r a r y Wo r k
U NITED S TA TES r . n pVPIr -U T r,,"r,~-
This Certificate issued under the seal of the Copyright
Officein accordance with title 17, United States Code,
attests that registration has been made for the work
identified below. The information on this certificate has
been made apart of the Copyright Officerecords.
EFFE9r ( vWr E OF REGIS TRA TION
. / M O V a U \99J
Month Ye a r Oay
Register of Copyrights, United States of America
. TE C ONTINU A TION S HEET .
1

- TITLE OF THIS WORK Y
DREA MS FROM MY FA THER
PREVIOUS OR ALTERNATIVE TITLES .,.
PUBLICATION AS A CONTRIBUTION If this work w,\S published as acontribution to a pcriod icol. serial. or collection. give information about the
collectivework inwhich thecontribution appeared. Title of Collective Work"
If published inaperiodical or seri1~ive: Volume" Number" Issue Date " On rages"
2
NAME OF AUTHOR .,.
2 1 Bar ack Obama
Was this contribution tothework a
"work made for hire"?
DYes
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l e a ve the
spa c e f o r d a te s
of birthand
c e a tn bl a n k.
DATES OF BIRTH AND DEATH
Year Born .,. Year Died .,.
U S A
AUTHOR'S NATIONALITY OR DOMICILE WAS THIS AUTHOR'S CONTRIBUTION TO
NameofCountry THE WOR K Iftheanswertoeither
OR
{
Citizen of ~ lISA A' D Yes .- No ofthesequestionsis
nonymous. ~ "Ye s. " seedetailed
IXNo Domiciled in~ USA Pseudonymous? n YL'S i 1 f : No instructions.
NATURE OF AUTHORSHIP Brieflydescribe nature of material created by this author inwhich copyright isclaimed..
Ent i r e wor k excl udi ng quot es f r om ot her sour ces
NAME OF AUTHOR .,. DATES OF BIRTH AND DEATH
Year Born ." Year Died .,.
Wasthis contribution tothework a
"work made for hire"?
DYes
DNo
AUTHOR'S NATIONALITY OR DOMICILE
Name0 1 Country
OR{ Citizen of ~'--------------
Domiciled in~
WAS THIS AUTHOR'S CONTRIBUTION TO
THE WORK IItheanswertoeither
ofthesequestionsis
Anonymous? DYes 0 No Yes: seedetailed
Pseudonymous? 0Ye s 0No instructions.
NATURE OF AUTHORSHIP Brieflydescribe nature of material created by this author inwhich copyright isclaimed. .,.
NAME OF AUTHOR.,. DATES OF BIRTH AND DEATH
Year Born .,. Year Died .,.
Wa s thi s c o n tr i huti o n to the wo r k a
"work made for hire"?
DYes
DNo
AUTHOR'S NATIONALITY OR DOMICILE
Na me o f C o un tr y
OR { Citizen of ~.... -..-
Domiciled in~
WAS THIS AUTHOR'S CONTRIBUTION TO
THE WORK Iftheanswertoeither
0 1 the se que sti o n s i s
"Ye s. " se e d e ta i l e d
i n str uc ti o n s.
-------"-----. Anonymous? 0 Yes 0 No
Pseudonymous? 0Yes D No
NATURE OF AUTHORSHIP Brieflydescribe nature of material created by this author inwhich copyright isclaimed. Y
YEAR IN WHICH CREATION OF THIS DATE AND NATION OF FIRST PUBLICATION OF THIS PARTICULAR W9DRK
a
WORK WAS COMPLETED ThisInformation bCompletethisIn/ormation Month~ 7 . _ Day~__ b__ Year~ __ ~.__
1 995 mustbegiven ONLY if thiswork U S A
_ .. __ __<4Year inall cases. has beenpublished. _ .. __. _. _ _ _. _. <4Nat,on
4
S e e i n str uc ti o n s
be f o r e c o mpl e ti n g
thisspace.
A PPLIC A TION REC EIVED
ND'Llll9-9..5--.----- ..
ONE DEPOS IT REC EIVED
TRANSFER If theclaimantfs) named here in'p.lCC 4is(ore) different fromtheauthorts] named in
space2. give,1 brief statement of howthoclaimantts) obtained ownership of thecopyright. "
MORE ON BA C K ~ Completeall applicablespaces (numbers5t 1 ) onthereverse side0 1 thispage.
S e e d e ta i l e d i n str uc ti o n s. S i gn the to r m a t l i n e 1 0 .
DO NOT WRITE HERE
Pa ge 1 o f Ppa ge s
FOR
C OPYRIGHT
OFFIC E
U S E
ONLY

O
C ORRES PONDENC E
Ye s
DO NOT WRITE A BOVE THIS LINE. IF YOU NEED MORE S PA C E, U S E A S EPA RA TE C ONTINU A TION S HEET.
~~ W?2 sw tal!' : : a e
PREVIOUS REGISTRATION Has registration for this work. or Ior an earlier version of this work. already been made in theC"pyri~ht Office?
DYes lXNo If your answer is "Yl'S." why is another registration being sought? (Check appropriate box) Y
. 0 This is thc tirst published edition of a work previously fl'gist,'rc'<.i in unpublished form.
b.O This is the first application submitted by Ihis author as copyright claimant,
c. 0This. isa ch,lng("d vcrston of till' work, as shown hySP.lo.. ' hon this applicatio.
If your answer is "Y.. -s."gil'e: Previous Registration Number'" Year of Registration ..
5
- DERIVATIVE WORK OR COMPILATION Complete both 'P,lC" ha and 6hfor ,\derivative work; complete only 6b for a compilation.
a. PreexisU.ng Material J dentity any preexisting work or work, th"t this work is based on.'" incorporates. Y
~uotes trom orner sources
--------------------- --------------- . . --------------- ---------_."-_. ----. ---. --~-. . . . - . . . -- ---------------.- -----. -- ------- --------
b. Material Added 10This Work Give abrief. genera; statement of the material that h,IS been added to this work and in which copyright is claimed. Y
Entire text ~~cluding quotes from other sources __._. ._. _
6
S e e i n str uc ti o n s
be f o r e c o mpl e ti n g
1 hi s spa c e .
-space deleted-
7
REPRODUCTION FOR lJ SE OF BLIND OR PHYSICALLY HANDICAPPED INDIVIDUALS A signature on thisfnrm at space lOand acheck in one
of the boxes here in space 8constitutes a non-exclusive grant of permission 1 0 the Library of Congress to repr duce and distribute solely for the blind and physically
handicapped and under the conditions and limitations prescribed b)' the regulations of the Copyright Office: (J I copies of the work identified in space 1 of this
application in Braille (or similar tactile symbols); or ( 2) pho n o r e c o r d s embodying a fixation of a reading of that work; or ( 3) both.
0 Copies and Phonorecords b0 Copies Only c l J Phonorecords Only S e e i n str uc ti o n s.
DEPOSIT ACCOUNT If the registration fee is to be charged to aDeposit Account established inthe Copyright Office. give name and number of Account.
Name Y Account Number ..
Random~ouse Ine 597 1 57
CORRESPONDENCE Give name and address to which correspondence about this application should besent.
Mi chael Gr evaes, Random House I ne
20 1 Ea st 50tb Street
_ _ _ N-'. e _ w_York, NY _ _ 1 0 '-0 '-2_ 2 -:-- _
A r e a C o d e a n d Te l e pho n e Numbe r . , .
Name/ Addrcssy Apt/City/St.tc/ZIP'"
, "
CERTIFICATION'" I. the undreigned, hereby certify that I am the {D author
C
" k I . . 0 other copyright claimant
lice' on yone s-
oowner of exclusive r i ghtts)
of the work identified in this application and that the statements made ~authorized agent of _ . &~~d~lIl.~_Q.M..se In~~ _
by me in this application tue corrt..""Ct to tht. ~ttt."St of my kn(l\ .. l ~d :g( '. Name o f author o r o the r copyright c l a i ma n t o r o wn e r o f e XC l usi ve f i ght{s)
Typed or printed name and date Y If this application gives a date of publication in space 3, do not sign and submit it before that date.
o:~:~::~;:.m-~------- "., _ ~~~5 c_
MAil
CERTIFI-
C A TETO
YOU MU S T'
,------_._._---_. -.--~
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i Numbe r /S tr e e t/A pa r tme n t Numbe r .
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f N THE S A ME PA C KA GE:
1 . A ppl i c a ti o n f o r m
2. No n r e tun d a bl e 520 f i l i n g f e e
i n c he d <o r mo n e y o r d e r
pa ya bl . e to RegIster of Copyrights
3. De pOS It ma l e tl a l
C e r ti f i c a te
will be
ma i l e d In
wi n d o w
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wi ththe a ppl i c a ti o n . sha l l be f i n e d n o t mo r e Iha n $2. 50 0 .
J ul y 1 993-<1 0 0 . 0 0 0 @ PRINTED ON REC YC LED PA PER ",USGOVERNMENT PRINTING OFFIC E: 1 9'33342582:6 0 . 0 20
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 16

page 9 page 9

































Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012


Paul Edward Ireys AFFIDAVIT


Exhibit A




































Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012


Paul Edward Ireys AFFIDAVIT


Exhibit B





































Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012


Paul Edward Ireys AFFIDAVIT


Exhibit C






































Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012


Paul Edward Ireys AFFIDAVIT


Exhibit D
From:
To:
1051324 1051324 1051324
Re: binder 11 ...
Tuesday, December 4, 2012 11:26 AM
"Henry Wayland Blake" <hwblake@bellsouth.net>
"Paul Irey" <pauledwardirey@gmail.com>, "Doug Vogt" <Diehold@comcast.net>,
orly.taitz@gmail.com, cestrunck@yahoo.com, "Chito Papa" <rajska7@gmail.com>
3 Files (1688KB)

DearPaul,

Ithinkyouhaveproposedthemostprobablescenariobasedonthecreaonandledatesofthe
associatedcourtdocuments.

1.ThepapercopyoftheTeppertoFuddy3pageleerwasdated05/26/2012.

2.Theelectronicversionofthis3pageleerappearedonScribdon06/06/2012

3.TheTepperfourpageelectronicdocument10513240131.pdf(sameas351.pdf)wascreatedon
06/04/2012andwaslastmodiedon06/06/2012.Pages13ofthisdocumentarethe3electronic
pagesoftheTeppertoFuddyleerthatappearedonScribdon06/06/2012.The4thelectronicpageis
theTepperpage4,LFCOLB.ThisfourpagedocumentwasledinMSon06/06/2012.

4.WereallydontknowwhentheTepperpage4LFCOLBwascreated.

5.ThepapercopyoftheonepageOnakatoTeppervericaonleerwasdated05/31/2012.

6.Theelectronicversion,whichiscourtdocument352,wascreatedon06/04/2012andwaslast
modiedon06/06/2012.ThisonepageelectronicdocumentwasledinMSon06/06/2012.

IbelievethatthemostlikelyscenarioisthatTeppercreatedapapercopyofhisthreepageleerto
Fuddyon05/26/2012.HeaachedapaperprintoutcopyoftheoriginalWHLFCOLBandmailedthis
fourpagepapercopytoFuddy.

TepperandOnakathencollaboratedtoaltertheWHLFCOLBtocreatetheTepperpage4LFCOLB.

On06/04/2012,Teppercreatedthedocuments10513240131.pdf(sameas351)and352.

Hethenledthetwodocuments351and352inMSon06/06/2012.

WereallydontknowtheindividualaconsofeitherTepperorOnakawithregardsthemodicaonsof
theWHLFCOLBPDFimageletocreatethealteredLFCOLBPDFimagele.Onakamayhavemodied
theWHLFCOLBandthensentthealteredPDFimagetoTepperasaonepagePDFimagele.Thereis
Re: binder 11 ... - Yahoo! Mail http://us.mc1257.mail.yahoo.com/mc/showMessage?sMid=12&filterBy=&...
1 of 3 12/4/2012 3:13 PM
nothinginhisvericaonleerthatindicatesthatheaachedthisalteredLFCOLBtohisvericaon
leer.However,hisleerdoesrefertotheLFCOLBcopythatwaspurportedlyaachedtothefourpage
requestleerfromTeppertoFuddy.

Alternavely,TeppermighthavehadsomeoneelsemodifytheWHLFCOLBPDFimagetocreatethe
alteredPDFimage.ThatmightexplainwhytheMETADATAwasnotenrelyerasedfromhisfourpage
electronicdocument.WeknowthatascannerwasusedsoTeppersforgerwouldhavehadtohave
somemeansofresizingascannedandalteredimageoftheWHLFCOLBbacktothecorrectsizeto
matchareal1961CercateofLiveBirthprintedform.

Iamnowcertainthatthe21addedobjectswhichareinvisibleinAdobeReaderpreexistedbefore
06/04/2012asaseparatePDFimage.The21objectsinclude12linesegements,2broadlinestrikeouts
and7Blackredaconrectangles.ThisredaconpageissmallerthantheLFCOLBimagepagesize.I
havesuccessfullyseparatedthissmallerredaconimagefromtheaenedandalteredWHLFCOLB
imageinbothAdobeIllustratorCS6andInkscape.IhaveaachedmylatestscreenshotsfromAdobe
Illustratorasproof.Thescreenshot[105132401131_ss3.jpg]aachedshowstheredaconpageslid
otheLFCOLBimagepagetotheright.Thebackgroundoftheredaconpageistransparent.

SoanalternavescenariowouldbethatTepperhadhisforgermodifytheWHLFCOLBandOnaka
providedtheredaconimagetoassistTeppersforgerresizehisscannedimage.Thiswouldlessen
OnakasinvolvementwiththecreaonofthefraudulentLFCOLBTepperpage4LFCOLB.

SoscenarioAwouldbethatOnakadidthedeedandscenarioBwouldbethattheycollaboratedtodo
thedeed.

EitherwaytheybothareguiltyofaempngtopulloabaitandswitchonJudgeWingate.They
substutedtheTepperpage4LFCOLBfortheWHLFCOLBanddidnttellJudgeWingateaboutthe
switch.

Icanprovideanotarizedcopyofmyswornadavitwheneveryouneedit.Also,Icanprovideanyofmy
screenshotsasrequired.Iwouldprefernottotesfybecauseofpersonalreasons.Ialsobelievethat.if
Iweretotesfy,thenIwouldquicklybecomeapunchingbagforthedefensebecauseIdonthavean
ITcercateandIhavenevertesedasaforensicexpert.

Sincerely,

Henry

From:PaulIrey
Sent: Tuesday, December 04, 2012 5:54 AM
To: doug@vectorpub.com ; orly.taitz@gmail.com ; cestrunck@yahoo.com ; hwblake@bellsouth.net
Subject: binder 11 ...

__________ Information from ESET NOD32 Antivirus, version of virus signature database 7763 (20121204)
__________
Re: binder 11 ... - Yahoo! Mail http://us.mc1257.mail.yahoo.com/mc/showMessage?sMid=12&filterBy=&...
2 of 3 12/4/2012 3:13 PM
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 17
Search Mail Search Web Christopher Go Sign Out Home
From:
To:
Chris,
I'm ready to testify tomorrow if needed.
I finished everything with exhibit 7 ... so I don't have to outline what I want to say.
J ust print it out and give it to any judge willing to take it ... read it ... or hear of it.
The judge that can take this testimony in court would be very brave.
I want them to realize that I put a copyright for a reason.
I want them to know that after they deny it's existence ... the world may see it and we will declare what judge covered his eyes ... as in "see no evil".
I will publish it somewhere ... along with a lot more when that time comes.
20 points of forgery that 130 federal judges were afraid to even read ... or admit they read it ... is enough for me to know that we were taken over
already and this is just an exercise in futility against a pack of cowards willing to sell out their nation and stonewall the most obvious truth of the crime
of a man pretending to be the president of the US ... standing on a forged document. That is a very serious crime in a sane world.
Even J ohanna will not get arrested for an in your face forgery.
The judge who will admit the birth certificate is a forgery does not exist.
I think they will just go through the motions until gov. tells them which rubber stamp to use.
My principal point now is that we have found the forger.
I have hammered that issue hard.
The evidence is overwhelming because of her stupidity ... but that won't matter.
J udges seem to be specialists in avoiding the truth ... instead of finding it.
Exhibit 3 attached had a few changes I made today ... so use the new one attached to replace what you have.
All the Exhibits are attached.
exhibit 7 is more text than usual because it's a 2 page summery with pics.
And that's it. Coming to you now for review at 4:10 am.
I have included one support document for exhibit 7 ... a sample birth certificate. I will have more when I get the mail from Doug.
Review them and let me know how to attach them to the affidavit because I never got the e-mail in text form and can't open the Microsoft Word.
Tomorrow I will send you my study of the copyright form.
Simon and Shuster has a copy of what they sent the US Copyright office originally ... I'm sure ... but will they play traitor like Kapioloni Hospital ... and
refuse to even tell us what country it says he was born in.
See how many people help out ... or are afraid.
After all ... there are 2,000 forensic examiners in this country ... and all are afraid to look at it also.
Except for Reed Hayes ... but do we have his report? Why did he allow secrecy?
I'M DONE ... Monday, J une 23, 2014 4:14 AM
"Paul Irey" <paulireysecret@gmail.com>
"Polycentrism ." <cestrunck@yahoo.com>
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1 of 2 6/23/2014 2:43 PM
Media isn't allowed to say he exists ... even though he says "It is the most flawed document he has ever seen'" also ... he says it is "definitely a
forgery."
Big news really. But it was the best proof of TOTAL MEDIA CONTROL we have seen so far.
And that is an accomplishment for my purposes ... which was to force them to overplay their hand.
Paul
I'M DONE ... - Yahoo Mail https://us-mg5.mail.yahoo.com/neo/b/message?fid=Inbox&sort=date&ord...
2 of 2 6/23/2014 2:43 PM
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 18
Search Mail Search Web Christopher Go Sign Out Home
From:
To:
Chris,
Attached are 3 files related to the copyright form.
The 2 full pages have a typewriter forensic grid on them and indications of which typed words are not following the grid.
On a typed page using the old manual typewriters that are only typed in mono-space mode ... meaning that the carriage return would always move 6
points to the left after a letter is typed. 6 points more space is allowed for the next letter. Proportional spaced typing became widely available during
the 1960's when the IBM Selectric came into use ... and by the seventies ... it was rare for a business to use the old manual typewriters.
Document forensic examiners would purchase specially made glass or plastic sheets with grid markings on them to assure that a manual typewriter
actually typed a document ... and other things. These days software like Adobe Photoshop is used to do the same thing much easier because the
program allows one to create a grid line in any color ... at any size.
I might add that there were two types of the old manual typewriters ... "Pica" sized letters and "Elite" sized letters. The larger size ... "Pica" was more
common. Both the Hawaiian birth certificates ... and the copyright document ... was coincidentally done in "Elite".
If all the letters on a document do not align with the grid ... only two possibilities are suggested ... the typist pulled the paper out of the typewriter in the
middle of typing and put it back ... or it was not typed ... but instead pasted up letter by letter ... possibly to make a document look like it was typed ...
but the grid exposes that plan. I have attached a full graphic description of a grid on the page called ... "List of Problems".
That single fault of letters being off the grid ... found on both the front and back of the copyright form ... is actually the biggest problem and indicates
clear fraud.
The possibility of any typed document exhibiting typed letters of different sizes is also clearly a fraud.
I think the messy appearance of over-strikes of typed letters was done deliberately to make the document appear to be genuine ... but of course it is
not.
I've been down this road before ... this is a "false instrument" pretending to be a typed document.
Why anyone would do that is obvious in this case.
As Obama's publicist declared for 15 years .... Barack Obama said he was born in Kenya and raised in Indoneisia.
Then in 2011 ... when he was forced to make a rush job on a forged birth certificate to maintain his credibility ... he did not forget the his copyright form
that asked for the country of birth and his said "Kenya".
What to do about that was simply to re-make a substitute copyright form and replace what was in the copyright office.
I wonder if Simon and Shuster also replaced the copy they had on file?
Probably not ... but we should request a copy from them to see how they would respond.
Probably like Kapiolani Hosptial did when they refused to provide any record of birth data on the premise of medical confidentiality ... and become the
first hospital ever to do that where a president was involved. The rest brag ... "This is where our president was born". Obama sent them a letter
thanking them for being his hospital of birth. It's not displayed anywhere in the hospital.
Then we have the interesting situation where the US Copyright office ... probably for the first time in history ... denies a public document being given
out.
Someone has the real one .... it was out there for 15 years ... and we can bet our bottom dollar that it declares that Obama was born in Kenya.
If we can find it ... big problems for Obama.
If this mess we came across is actually what they now have on file ... I can understand why they would refuse to give it out.
The editor that signed it "Greaves" ... had his name on the document twice. Once time it is spelled wrong. What kind of "editor" of a publishing
company would allow his name to be miss-spelled on a legal document that he knew he had to sign? Greaves died in Brooklyn at 58 years old in
2006.
We need to know what kind of excuse Simon and Shuster will give in order to prevent us from getting a copy of this copyright from their office.
Re: Fw: forged copyri ght form .... Monday, J une 23, 2014 3:48 PM
"Paul Irey" <paulireysecret@gmail.com>
"Polycentrism ." <cestrunck@yahoo.com>
3 Files 14 MB Download All
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Re: Fw: forged copyright form.... - Yahoo Mail https://us-mg5.mail.yahoo.com/neo/b/message?fid=Inbox&sort=date&ord...
1 of 2 6/23/2014 4:06 PM
The suspicion that J ohanna Ahnee ... already shown to have definitely forged her own birth certificate ... and most certainly forging Obama's birth
certificate also ... was called to duty to re-make Obama's copyright form in order to only have one forger ... lessening the chance of a confession from
one of two forgers. So not having a typewriter ... she used her collection of letters given to her for forgery from the dept. of health in Honolulu and
that's why we see all the familiar problems again ... just like the two forgeries she did already. Elite type ... letters off the grid ... tilted letters ... and
securing the original from public view.
I still need to check it for letter-spacing problems and that will wrap up the issue.
How I determine letter spacing problems is to find more than one two-letter combination and compare them to see if the space between the letters is
the same or different. I will do that next. I've been too busy lately.
I'm waiting to hear from you regarding putting the affidavit together with my evidence.
I can't open Microsoft at this time.
Paul
On Sun, J un 22, 2014 at 4:38 PM, Christopher-Earl: Strunk in esse Sui juris agent <cestrunck@yahoo.com>wrote:
I have done a quick analysis of the copyright forgery anomalies do they coincide with your analysis?
1. The USA under year Born without the date is the same paste-up not in the same line as Barack Obama on the 2a line Name of Author.
2. The USA: pasted in below are not lined up to resemble typing on a form one above the other under the Authors Nationality or Domicile
3. The USA shown below from line 3 is the element used in the paste-up in line 2a above and is not in the same line as 1995
4. The line 4 use of Barack Obama c/o is at an angle to the Acton, Dystel , Leon & J affe below it. And it appears that whiteout was actually used
below in the address.
5. I believe that the PDF has layers.
Christopher-Earl: Strunk in esse Sui juris
secured beneficiary agent of the Debtor Trust
transmitting utility TMCHRISTOPHER EARL STRUNK
Plaintiff / Petitioner in NYS SC Kings Cty Index Nos.:
29642-2008, 6500-2011, 21948-2012, Strunk v. US DOS
USDC DCD 14-0995 (RJ L) am the Executor and Settlor for
the Express Deed In Trust To The United States Of America,
located at 593 Vanderbilt Avenue - PMB 281
Brooklyn, New York Zipcode excepted 11238
Cell: 845-901-6767 Email: chris@strunk.ws"SURETY NO MORE" WEBSITE:http://associationforsovereignhomerulewithin.org/
--- On Mon, 1/27/14, Paul Irey <pauledwardirey@yahoo.com>wrote:
>From: Paul Irey <pauledwardirey@yahoo.com>
>Subject: forged copyright form ....
>To: "cestrunck@yahoo.com" <cestrunck@yahoo.com>
>Date: Monday, J anuary 27, 2014, 8:12 PM
>Chris,
>See
>attached the PDF of the forged copyright form.
>Paul
>Irey
Re: Fw: forged copyright form.... - Yahoo Mail https://us-mg5.mail.yahoo.com/neo/b/message?fid=Inbox&sort=date&ord...
2 of 2 6/23/2014 4:06 PM
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
-----------------------------------------------------------------x


Exhibit 19
Print | Close Window
Subject: your original FOIL request
From: John Fraser <John.Fraser@hesc.ny.gov>
Date: Fri, May 30, 2014 1: 17 pm
To: CHRIS@STRUNK.WS
Attach: pic19169.gif
ecblank.gif
Attached below, as you requested.
J ohn W. Fraser, Esq.
Senior Attorney, Office of Counsel, Room 1350
New York State Higher Education Services Corporation
99 Washington Avenue | Albany, New York | 12255
T: (518) 473-1581 | F: (518) 486-6515
J ohn_Fraser@hesc.ny.gov | www.HESC.ny.gov
Cal Srvr/HESC@HESCNOTES
05/22/2014 11:15 AM
Please respond to
"CHRISTOPHER EARL STRUNK"
<CHRIS@STRUNK.WS>
To
foil@hesc,
cc
Subject
FOIL Request
To: FOIL Record Access Officer
From: CHRISTOPHER EARL STRUNK
Subject: FOIL Request
Documents Requested:
RECORDS ACCESS OFFICER,
I hereby request all index listings of any type of student loan applications and the actual copy of the loan records for a
student who either in preparation and or attendance at Columbia University in New York City for the period from 1979
thru 1983 of the person or persons using the names "BARRY SOETORO", "BARACK HUSSEIN OBAMA", "BARRY
ALLEN OWENS", "BARRY DUNHAM", "STEVE DUNHAM", "SOEBARKAH"
And that it is my understanding that the complete record of attendance by any student including foreign students
whether having attained loan assistance is a requirement for there to be Federal or States funds assistance directed
to the respective school of attendance per se.
e-Mail Address: CHRIS@STRUNK.WS
Telephone number: (845) 901-6767
Address:
593 Vanderbilt Avenue
PMB 281
Brooklyn, NY 11238
---------------------------------------------------------------

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1 of 2 5/30/2014 4:32 PM
This message is intended only for the use of the Addressee(s) and may contain information that is privileged, confidential, and/or
exempt from disclosure under applicable law. If you are not the intended recipient, please be advised that any disclosure,
copying, distribution, or use of the information contained herein is prohibited. If you have received this communication in error,
please destroy all copies of the message, whether in electronic or hard copy format, as well as attachments, and immediately
contact the sender by replying to this e-mail or by phoning. Thank you. Visit us on the Web at http://www.hesc.ny.gov
Copyright 2003-2014. All rights reserved.
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2 of 2 5/30/2014 4:32 PM
Print | Close Window
Subject: FOIL
From: John Fraser <John.Fraser@hesc.ny.gov>
Date: Fri, May 30, 2014 10: 48 am
To: CHRIS@STRUNK.WS
Cc: Sharon Forbes <Sharon.Forbes@hesc.ny.gov>
Attach: Strunk FOIL response 5-30-14.doc
(See attached file: Strunk FOIL response 5-30-14.doc)
J ohn W. Fraser, Esq.
Senior Attorney, Office of Counsel, Room 1350
New York State Higher Education Services Corporation
99 Washington Avenue | Albany, New York | 12255
T: (518) 473-1581 | F: (518) 486-6515
J ohn_Fraser@hesc.ny.gov | www.HESC.ny.gov
---------------------------------------------------------------
This message is intended only for the use of the Addressee(s) and may contain information that is privileged, confidential, and/or
exempt from disclosure under applicable law. If you are not the intended recipient, please be advised that any disclosure,
copying, distribution, or use of the information contained herein is prohibited. If you have received this communication in error,
please destroy all copies of the message, whether in electronic or hard copy format, as well as attachments, and immediately
contact the sender by replying to this e-mail or by phoning. Thank you. Visit us on the Web at http://www.hesc.ny.gov

Copyright 2003-2014. All rights reserved.
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New york state higher education services corporation
99 Washington Avenue, Albany, NY 12255 www.hesc.org 888-NYS-HESC
May 30, 2014
VIA ELECTRONIC MAIL ONLY
Christopher Earl Strunk
593 Vanderbilt Avenue
PMB 281
Brooklyn, NY 11238
Dear Mr. Strunk:
This letter is in response to your Freedom of Information Law (FOIL) request that was
originally dated and received by the New York State Higher Education Services Corporation
(HESC) on May 22, 2014 and which you resubmitted to HESC on May 29, 2014.
Your request seeks access to information related to student loan accounts that may exist
for specific individuals listed in your request. The information requested is of a personal nature
related to the subjects of your request and is protected by federal and state law and regulation.
New Yorks FOIL Law is contained in the Public Officers Law Article 6. In pertinent part,
Section 87 addresses access to Agency records, including records that are exempt from
disclosure pursuant to FOIL. Section 87 (2) (a) and (b) reads:
Each agency shall, in accordance with its published rules, make available for public
inspection and copying all records, except that such agency may deny access to records
or portions thereof that:
(a) are specifically exempted from disclosure by state or federal statute;
(b) if disclosed would constitute an unwarranted invasion of personal privacy under the
provisions of subdivision two of section eighty-nine of this article;
In order for you to obtain records related to an individual student loan borrower, the
borrower would be required to authorize HESC in writing to release records related to their
account to you. In the absence of such written authorization, HESC is prohibited from releasing
any information related to the individuals. Upon receipt of such authorization from any of the
individuals listed in your request, HESC will undertake a review of its records to determine
whether any responsive records exist.
Based on the foregoing, HESC is unable to provide any information related to the
individuals listed in your FOIL request.
Pursuant to Section 89 (4) of FOIL, the person requesting records may appeal the denial
of access to responsive records that may exist. An appeal must be made within thirty days of
receipt of this written notice and submitted to Thomas Brennan, General Counsel and Records
Appeals Officer, HESC, 99 Washington Avenue, Albany, New York 12255.
Sincerely yours,
/s/ John Fraser
J ohn Fraser
Records Access Officer
(518) 473-1581
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
----------------------------------------------------------------x Case No.: 14-cv-00995 (RJL)
CHRISTOPHER EARL STRUNK
593 Vanderbilt Avenue PMB 281 NYC, NY 11238
845-901-6767 chris@strunk.ws,
and H. WILLIAM VAN ALLEN
351 North Road Hurley NY 12443
845-389-4366 hvanallen@hvc.rr.com
MICHAEL SHRIMPTON 8 Jusons Glebe,
Wendover, United Kingdom HP22 6PF
FIRST SUPPLEMENT TO THE
Plaintiffs, COMPLAINT with PETITION
v. for WRIT OF MANDAMUS
and PRELIMINARY
U.S. DEPARTMENT OF STATE (DOS) and INJUNCTION HEARING
JOHN F. KERRY (SOS) at 2201 C Street NW FOR EQUITY RELIEF OF
Washington, DC 20520 TTY:1-800-877-8339 28 USC 2201 and 2202
CENTRAL INTELLIGENCE AGENCY
and JOHN O. BRENNAN, DCI
Washington, D.C. 20505 fax: (571) 204-3800
BARACK HUSSEIN OBAMA II
1600 Pennsylvania Ave. NW Washington DC 20500
U.S. COPYRIGHT OFFICE
101 Independence Avenue SE
Washington, DC 20559-6000 (202) 707-3000
RANDOM HOUSE, LLC., PENGUIN RANDOM
HOUSE FOUNDATION, INC., MICHAEL GREAVES,
1745 BROADWAY NEW YORK, NEW YORK, 10019
JANE DYSTEL LITERARY MANAGEMENT INC. and
JANE D. DYSTEL 1 UNION SQUARE WEST
#904 NEW YORK, NEW YORK, 10003
THE NEW YORK STATE BOARD
OF ELECTIONS and its agents at :
40 North Pearl Street, Suite 5 :
Albany, NY 12207-2729 Fax (518) 486-4068

Defendants.

ERIC HOLDER, US ATTORNEY GENERAL
950 Pennsylvania Ave NW Washington DC 20530
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Exhibit 20
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: BARACK HUSSEIN OBAMA II
WE COMMAND YOU, that all business and excuses being laid aside, you and each of
you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, any legally certified proof of your place of birth and the citizenship status of
both parents at your birth now in your custody, and all other evidences and writings,
which you have in your custody or power.
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: TODD VALENTINE of the NEW YORK STATE BOARD OF ELECTIONS
WE COMMAND YOU, that all business and excuses being laid aside, you and each of
you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, all correspondence with the office of Attorney General and office of Governor
regarding the 2008 and 2012 General Election for President and Vice President, and
for all correspondence regarding the Board of Elections official Website documentation
and records for the posted notification of qualifications required for any candidate for
the Office of President and or Vice President of the United States for the period of 1
August 2008 through 30 May 2014 now in your custody, and all other evidences and
writings, which you have in your custody or power.
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: DAVID LOOMIS of the NEW YORK STATE BOARD OF ELECTIONS
WE COMMAND YOU, that all business and excuses being laid aside, you and each of
you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, all Board of Elections official Website documentation and records for the
posted notification of qualifications required for any candidate for the Office of
President and or Vice President of the United States for the period of 1 August 2008
through 30 May 2014 now in your custody, and all other evidences and writings,
which you have in your custody or power.
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: ANDREW MARK CUOMO
WE COMMAND YOU, that all business and excuses being laid aside, you and each
of you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, a certain official memorandums and correspondence with agents and or
members of the New York State Board of Elections covering the period from 1 August
2008 through 1 January 2010 while New York State Attorney General and the period
from 1 January 2010 through the 30 May 2014 while New York State Governor now
in your custody, and all other evidences and writings, which you have in your custody
or power, concerning the General Election of 2008, 2012 and legislation to enact a
winner take all election of president and vice president..
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: JOHN FRASER and NYS HIGHER EDUCATION SERVICES CORPORATION
WE COMMAND YOU, that all business and excuses being laid aside, you and each of
you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, all index listings of any type of student loan applications and the actual
copy of the loan records for a student who either in preparation and or attendance at
Columbia University in New York City for the period from 1979 thru 1983 of the
person or persons using the names "BARRY SOETORO", "BARACK HUSSEIN
OBAMA", "BARRY ALLEN OWENS", "BARRY DUNHAM", "STEVE DUNHAM",
"SOEBARKAH" now in your custody, and all other evidences and writings, which you
have in your custody or power.
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
SUPREME COURT OF THE STATE OF NEW YORK
COUNTY OF KINGS
-----------------------------------------------------------------------x
Christopher Earl Strunk, Index No.: 29642 / 08
Plaintiff, I.A.S. Part 47
-against-
David A. Paterson et al. JUDICIAL SUBPOENA

Defendants. DUCES TECUM
-----------------------------------------------------------------------x
The People of the State of New York
TO: DAVID A. PATERSON
WE COMMAND YOU, that all business and excuses being laid aside, you and each
of you appear and attend before the Hon. DAVID I. SCHMIDT J.S.C. at the New York
Supreme Court for the County of Kings at 360 Adams Street Brooklyn New York
11201 in Courtroom #541 on the 18
th
day of June, 2014 at ______ o'clock, in the
______noon, and at any recessed or adjourned date to give testimony in this action on
the part of Plaintiff and that you bring with you, and produce at the time and place
aforesaid, a certain official memorandums and correspondence with agents and or
members of the New York State Board of Elections covering the period from 1 August
2008 through 1 January 2010 while New York State Governor now in your custody,
and all other evidences and writings, which you have in your custody or power,
concerning the General Election of 2008.
WITNESS, Honorable DAVID I. SCHMIDT one of the Justices of said Court,
at 360 Adams Street Brooklyn New York 11201 the _________day of _______, 2014.
____________________________
Christopher Earl Strunk, Plaintiff
593 Vanderbilt Avenue PMB 281
Brooklyn, New York 11238
(845) 901-6767 chris@strunk.ws
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