Ze
By oe
SO A facsimile from
Iviewit
To: The Honorable Shira A. Scheindlin Fliot Ivan Bernstein
Fax number: 212-805-7920 &P. Stephen Lamont
Date: 12/11/2007
| Regarding: URGENT!!! REGARDING ORDER FOR WEDNESDAY 12/1207
i IN THE CHRISTINE ANDERSON CASE V. THE FIRST DEPT. DDC.
Comments: Dear Honorable Shira A. Scheindlin,
| The attached lawsuit is being filed hopefully by Spm at your court today but on the
chance that it does not get there, | am faxing an unsigned copy for review and for you
to ascertain if we are a necessary party to the order issued in the Anderson hearings.
Although not named in the caption as a patty we are mentioned os Iviewit in the filing
and central to an even larger unfolding scandal. '
Ifyou bave any questions or need additional information, please feel free to call upon
me. Thank you in advance for your consideration of these matters.
Eliot 1. Bernstein
Inventor
Tviewit Technologies, Inc.
43 Little Ave
Red Bluff, CA 96080
i 530-$29-4110Pratt 24 PM
December 11, 2007
UNITED STATES DISTRICT COURT
SOUTHERN DISTRICT OF NEW VORK
xX
ELIOT I. BERNSTEIN, INDIVIDUALLY and P. STEPHEN
LAMONT and ELIOT J. BERNSTEINON BEHALF OF SHAREHOLDERS OF
VIEWLT
HOLDINGS, iNC., IVIEWIT TECHNOLOGIES, INC,
UVIEW.COM, ING, , IVIEWET HOLDINGS, INC, BUCKET NUt
IVIEWIT HOLDINGS, INC,, IVIEWIT.COM, INC.,
LVIEWIT.COM, INC., LC., INC. LVIEWIT.COM LLC,
AVIEWIT LLC, IVIEWIT CORPORATION, IVIEWIT,
INC., [VIEWIT, INC., and PATENT INTEREST HOLDERS,
ATTACHED AS EXHIBIT A
Plaintiffs,
-ngainst-
APPELLATE DIVISION FIRST DEPARTMENT
DEPARTMENTAL DISCIPLINARY COMMITTEE,
THOMAS J. CAHILL, in his official and individ
capacity, JOSEPH WIGLEY in his official and individual
capacity, CATHERINE O° HAGEN WOLFE in her
official and individual capacity, PAUL CURRAN in his official
and individual eapacity, MARTIN R. GOLD in his official
and individual capacity , HON. ANGELA M, MAZZARELLL
im her official aud individual capacity, HON. RICHARD T.
ANDRIAS in his official and individual capacity, HUN. DAVID
B. SAXE in his official and individual capacity, HON. DAVID
FRIEDMAN in his official aud individual capacity, HON. LUIZ A.
GONZALES in his official and individual capacity, APPELLATE,
DIVISION SECOND DEPARTMENT DEPARTMENTAL,
DISCIPLINARY COMMITTEE, LAWRENCE,
DIGIOVANNA in his official and individual capacity. DIANA. COMPLAINT
MAXFIELD KEARSE in ber official and individual
capacity, JAMES E. PELTZER in his official and individual
capacity, HON. A. GAIL PRUDENT in her official and
individual capacity, SUEVEN C. KRANE in bis official an
ine al capacity, HON. JUDITH S, KAYE in her offiei
and individual capacity, KENNETH RUBENSTEIN, ESTATE,
OF STEPHEN KAYE, PROSKAUER ROSE LLP,
MELTZER LIPPE GOLDSTEIN & BREISTONE LLP,
LEWIS S. MELTZER, RAYMOND A. JOAO, FOLEY
LARDNER LLP. MICHAEL C. GREBE, WILLIAM J. DICK,
DOUGLAS A. BOEHM, STEVEN C. BECKER, STATE OFLAWYERS FUND FOR CLIENT PROTECTION OF THE.
STATE OF NEW YORK, THE FLORIDA DAR, LORRAINE
CHRISTINE HOFFMAN in her official and
capacity, ERIC TURNER in his official
capacity, JOHN ANTHONY ROGES in his of
individual capacity, KENNETH MARVIN
and individual eapacity, THOMAS HALL
and individual capacity, DEBORAH YARBOROUGH in
her official and individual capacity, VIRGINIA STATE.
BAR, ANDREW $1. GOODMAN im his official and individual
capacity, NOEL SENGEL in her official and individual
capacity, MARY W. MARTELINO in her official and
individual capacity, and John Does.
Defendants
TTX JURY TRIAL
DEMANDED
COMPLAINT FOR DENTAL OF DUE PROCESS IN THE MATTERS OF WHITE
WASHING OF COMPLAINTS AGAINST ATTORNEYS AND COUNSELORS,
AT LAW AND MANDAMUS FOR RELEASE OF INVESTIGATORY FILES AND
REMOVAL TO A FEDERAL MONITOR TO INSTITUTE IMMEDIATE
INVESTIGATIONS AND TO OVERSEE THE DAY-TO-DAY OPERATIONS OF
‘THE FIRST DEPARTMENT DEPARTMENTAL DISCIPLINARY COMMITTEE,
THE SECOND DFPARTMENT DEPARTMENTAL DISCIPLINARY
COMMITTEE, THE FLORIDA BAR, AND THE VIRGINIA BAR
ASSOCTATION FOR AN
INDEFINITE, PEREOD OF TIME
PLAINTIFFS, ELIOT 1 BERNSTEIN, Pro se, individually and P. STEPHEN
LAMONT, Pro sc on behalf of shareholders of Ivicwit Holdings, Inc. Iviewit
Technologies, Inc., Uview.com, Inc. , [viewit Holdings, Inc., Iviewit Holdings, Inc.,
Iviewit.com, Ine., Iviewit.com, Ine. LC., Inc., Iviewiteom LLC, Iviewit LLC, Iviewit
Corporation, Iviewit, Inc., Iviewit, Inc. and other John Doe companies (collectively,
“viewit Companies”), and patent interest holders attached as Exhibit A. as and for their
Complaint against the above captioned Defendants, state upon knowledge as to their own
facts and upon information and belief as to all other maticrs:
PRELIMINARY STATEMENT
1. This is 2 civit action seeking injunctive relief, monetary refief, inciuding past and on
going eranamir. loss, campensatory and pnnitive damages disbursemen's, costs and fires
for violations of rights brought pursuant to, including but not limited to, Article 1,
tw