Documenti di Didattica
Documenti di Professioni
Documenti di Cultura
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
Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012
Christopher-Earl: Strunks AFFIDAVIT in support of Note of Issue
Exhibit 3
Strunk v J effries et al. Article 78 NYSSC for Kings County Index No.; 21948 / 2012
AFFIDAVIT OF SERVICE
STATE OF NEW YORK )
) ss.
COUNTY OF ULSTER )
Accordingly, I, H. William Van Allen, being duly sworn, depose and say under penalty of perjury:
a. Amover 18years of age and not a party to this action.
b. Myplace of business is located at 351 North Road Hurley NewYork 12243.
c. On November 14, 2012, Christopher Strunk instructed me to serve a true conformed copy of the NOTICE OF
PETITION, PETITION with AFFIDAVIT OF VERIFICATION affirmed November 13,2012 along with a
NOTICE OF INTENT TO FILE AN ORDER TO SHOW CAUSE APPLICATION FOR A PRELIMINARY
INJ UNCTION PENDING A DECLARATORY INJ UNCTION ON ISSUE OF LAW AS TO ELECTORS
DECLARATORY RELIEF AS TO ELECTORS, a Notice of Petitioner's intent to filean order to show cause
application at the Kings County Supreme Court Building at 10AMon the 10
th
Floor intake at 360 Adams Street on
Monday November 19,2012 placing a complete set in a properly addressed to each respondent listed below for
delivery by USPS by certified mail with request for return receipt for proof of service.
d. On November 14, 2012, I caused each copy with proper postage for service by certified mail on the listed Electors and
where each envelope was properly addressed with the Notification "URGENT LEGAL SERVICE" and "PERSONAL &
CONFIDENTIAL"in the lower left hand corner of the envelop that was then deposited with the USPS for service upon:
1. Hakeem J effries 35Underhill Avenue, #2A -- Brooklyn, NY 11238
2. Grace Mengofl47l4 34thAvenue -- Flushing, NY 11354
3. Felix Ortiz 189B33rd Street -- Brooklyn, NY 11232
4. Bill DeBlasioof 442 lith Street -- Brooklyn. NY 11215
5. Walter Cooper 150 West 96th Street, #[2G -- New York. NY 10025
6. KeithL.T. Wright of2225 FifthAvenue -- New York. NY 10037
7. Christine C. Quinn of263 Ninth Avenue. #3A -- New York, NY 10001
8. WilliamThompson of 106West 121st Street -- New York. NY 10027
9. Scott Stringer of 155West 71st Street. #3A -- New York, NY 10023
10. Emily Giske01'440 West 24thStreet -- New York, NY 10014
11. Anne Marie Anzaloue 2827 48th Street -- Astoria. NY 11103
12. Archie Spigner of 11210 175thStreet -- J amaica, N'r' 11433
13. George Gresham 1313 East 233rd Street -- Bronx, NY 10466
14. Ruben Diaz, J r. of820 Boyton Avenue. #6D -- Bronx. NY 10473
15. Ken J enkins 108 Bushey Avenue -- Yonkers. NY 10710
16. Mario Cilento 3Isabel Road -- Orangeburg, NY 10962
17. Gerald D. J ennings of 1135New Scotland Road -- Albany. NY 12208
18. Byron Brown 14Blaine Street -- Buffalo, NY 14208
19. Robert Duffy 164 Croydon Road -- Rochester, NY 14610
20. J oseph Morelle of 133Deerfield Drive -- Rochester, NY 14609
21. Scott Adams of 11Poplar Avenue -- Orchard Park, NY 14127
22. Stephanie Miner 102 Woodside Drive -- Syracuse, NY 13224
23. SteveBellone 107 Vanderbilt Avenue -- West Babylon, NY 11704
24. Irene Stein 101 Brandywine Drive -- Ithaca, NY 14850
25. Sheila Comar 29 Depot Street -- Middle Granville, NY 12849;
26. Kirsten Gillibrand with DC Office 478 Russell Washington, DC 20510
Sworn to before me
This i day of November 2012
~<-Drl Q ~k.o-~
tary Pubhc
CM I RR No 7012101000068749741
CM I RR No 7012101000068749819
CM I RR No 7012101000068749758
CM I RR No 7012101000068749765
CM I RR No 7012101000068749956
CM I RR No 7012101000068749826
CM I RR No 7012101000068749833
CM IRR No 7012101000068749840
CM I RR No 7012101000068749857
CM I RR No 7012101000068749864
CM I RR No 7012101000068749901
CM IRR No 7012101000068750242
CM I RR No 7012101000068749963
CM I RR No 7012101000068749796
CM I RR No 7012101000068749949
CM I RR No 7012101000068749895
CM I RR No 7012101000068749970
CM I RR No 7012101000068749802
CM IRR No 7012101000068749772
CM I RR No 7012101000068749789
CM I RR No 7012101000068749871
CM I RR No 7012101000068749888
CM I RR No 7012101000068749918
CM I RR No 7012101 000068749925
CM I RR No 7012101000068749932
C" ! Rl ' N~' : ' 00006R7499R7
/#~
/;l.v~2r;;/
rlliam Van Allen ~
J UDITHS.MA YHON
NOTARYPUBUC, STAT; OF NEW YORK
NO.01MA60B5585
QUALIFIED INULSTER COUNTY/'(j
COMMISSION EXPIRES J UtY 14, 20__
Strunk v Jeffries et al. Article 78 WSSC for Kings county Index No.; 21 948 / 2012
0
, - AFFIDAVIT OF SERVICE
STATE OF NEW YORK )
) ss.
TY OF KINGS )
Aecordingly, I, I
Rou&e efi ALL being duly sworn, depose and say under penalty of pe jury:
over 18 year s of age a n d not a part y t o t hi s action.
6J5 f/& K 1 1 ZoG
place of busi ness i s located at
November 30, 2012, Christopher St r unk i nst ruct ed me t o serve a true conformed copy of t he PETITIONER'S
-- >OND AFFIDAVIT IN SUPPORT OF OSC with EXHIBITS annexed AFFIRMED November 30, 2012 al ong with a copy
of t he NOTICE OF PETITION, PETITION with AFFIDAVIT OF VERIFICATION affirmed November 13, 2012
placing a complete s et i n a properly addressed envelope t o each respondent listed below for delivery by USPS regular
mail.
d. On November 30, 2012, I caused each copy wi t h proper postage for service by first cl ass mail o n t he listed Electors And
where each envelope was properly addressed with t he Notification "URGENT LEGAL SERVICE" a n d PERSONAL 8a
CONFIDENTJAL" i n t he lower left h a n d c ome r of the envelop t ha t wa s then deposited with the USPS for service upon:
1. Andrew M. Cuomo 138 Eagle Street -- Albany, NY 12202
2. Gerald D. Jennings of 1135 New Scotland Road -- Albany, NY 12208
3. George Gresham 13 13 East 233rd Street -- Bronx, NY 10466
4. Ruben Diaz, Jr. of 820 Boyton Avenue, #6D -- Bronx, NY 10473
5. Byron Brown 14 Blaine Street -- Buffalo, NY 14208
6. Felix Ortiz 189 B 33rd Street -- Brooklyn, NY 11232
7. Hakeern Jeffi-ies 35 Underhill Avenue, #2A -- Brooklyn, NY 11238
8. Bill DeBlasio of442 1 lth Street -- Brooklyn, NY 11215
9. Robert Duffy 164 Croydon Road -- Rochester, NY 146 10
10. Joseph Morelle of 133 Deerfield Drive -- Rochester, NY 14609
11. Tom DiNapoli 100 Great Neck Road -- Great Neck, NY 11201
12. Eric Schneiderman 645 West End Avenue, #8F -- New York, NY 10025
13. Walter Cooper 150 West 96th Street, #I2G -- New York, NY 10025
14. Sheldon Silver of 550 Grand Street, #5A -- New York,,NY 10002
15. Keith L.T. Wright of 2225 Fifth Avenue -- New York, NY 10037
16. Christine C. Quinn of 263 Ninth Avenue, #3A -- New York, NY 10001
17. William Thompson of 106 West 12 1 st Street -- New York, NY 10027
18. Scott Stringer of 155 West 71st Street, #3A --New York, NY 10023
19. Emily Giske of 440 West 24th Street -- New York, NY 10014
20. Scott Adams of 11 Poplar Avenue -- Orchard Park, NY 14127 -
21. Stephanie Miner 102 Woodside Drive -- Syracuse, NY 13224
22. Mario Cilento 3 Isabel Road -- Orangeburg, NY 10962
23. Anne Marie Anzalone 2827 48th Street -- Astoria, NY 11 103
24. Grace Meng of 14714 34th Avenue -- Flushing, NY 11354
25. Archie Spigner of 11210 175th Street -- Jamaica, NY 11433
26. Steve Bellone 107 Vanderbilt Avenue -- West Babylon, NY 11704
27. Irene Stein 101 Brandywine Drive -- Ithaca, NY 14850
28. Sheila Comar 29 Depot Street -- Middle Granville, NY 12849
29. Ken Jenkins 108 Bushey Avenue -- Yonkers, NY 10710
30. Joshua Pepper NYSAssiatant Attorney General Office of Attorney General 120 Broadway NY NY 10171
31 KLQ~TV CrfCtVrc/@(l VtWQ $f =f =I C@r LEqB E ~ ~ S ~ L ~ W H Wmy18
KAMAL P. SON1
Notary Public, State of New York
No. 01 SO6089949
: .,
Qualified in Kings C0unly
Commission Expires March 31. 201 5
Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012
Christopher-Earl: Strunks AFFIDAVIT in support of Note of Issue
Exhibit 4
-QUEST FOR JUDICIAL INTERVENTION"
UCS-840 (31201 1)
Supreme COURT, COUNTY OF Kings
&V. rc/ 2012
Index No: 2 1 ?* Zo(a Date Index Issued:
I B Y m o n e n .
against-
For Court Clerk Use Only:
IAS tntry Uate
- JuageAssigned
CAPTION:
Enter the complete case caption. Do notuse et a1or et am. If mae space is
required, attach a caption nder sheet.
KJI Uate
- -
H~, <C?G&' I J C F * ~ ~ , G/~ALC mgNG, BI LL DEBWSa,uvryEZ
ICe~yfl b a T d VfltGc+s, CHRLTT~NE Cdu~ul j W~ L U P M 7kn.,mahl, seun J ~ ~ , ~ G ~ ~ ~
c m( c y GJSI CE, PUPIF )MANE ~ru&ddWt?, -)+&c,-rrG SRGNGR &wsk ~ ~ - e l y
f
RVDIN D f ~ 2 JQ. , ~ A ~ L C U CrLFWaf - & A J , ~ - 199- B M* ) ~ 2
1266'- Wf-py, J o ~ n u
s-~t~/yrq;repp~~~ n ~ . ~ . l r n ~ S ? F ~ ;E WK ~ r ;
I=& ~ WN 54GcW W P l ( l f i - m W ~ t ~ ~ / p p , ~ Q p o
Dhnch@$l ~ea; bf nI ent (s)
% ,, . . . , *. - ? ' . - - ,
NATURE OF ACTION 'OR-~OCEE~ING:" : Check.ONEbox-only andspecifywh6re iniicated. ' ' ' , ' - ; 3=, C" .-
Is this adionlproceedrng being filed post-judgment? 0 @ If yes, judgment date:
MATRIMONIAL
0 Contested
0 Uncontested
NOTE: For all Matrimonial actions where the parties have children under
the age of 18, complete and attach the MATRIMONIAL RJI Addendum.
TORTS
0 Asbestos
0 Breast Implant
0 Enmment al :
(SPem)
0 Medical, Dental, or Pediatric Malpractice
0 Motor Vehlde
0 products ~sbi l i ty.
(~PeclfY)
0 Other Neglglrgence:
(specrty)
0 Other Profess~onal Malpractice:
( s a w )
0 Other Tort
( ~pec~t y)
OTHER MATTERS SPECIAL PROCEEDINGS
Certmcate of lncorporat~onlDissolut~on [see NOTE under Commerctal] 0 CPLR Article 75 (Arbltrat~on) [see NOTE under Commercial]
0 Emergency Medical Treatment CPLR Artlcle 78 (Body or Officer)
COMMERCIAL 3 2:; -
0 Buslness Ent~ty (including corporations, partnerships, L*S, et
0 Contract
d- -
z r
0 Insurance (where Insurer is a party, except arbitration)=
m
0 ucc (including sales, negotiable instruments) C a3 ?-
0 Other Commercial: a
(tpecity)
NOTE: For Commercial Div~sion assignment requests 122 NYCRR 5
202.70(d)]. complete and attach the COMMERCIAL DIV RJI Addendum.
REAL PROPERTY:
Haw many pmperbes does the application include?
0 Condemnat~on
0 Foreclosure
property Address:
S m Address CW State Zip
NOTE: For Foreclosure actions invdvlng a one- to four-family, omer-
occupied, residential property, or an owner-occupied condominium, '
complete and attach the FORECLOSURE RJI Addendum.
0 Tax Certiorari - Section: Block: Lot:
0 Other Real Properly:
(~peclty)
0 Habeas Corpus
0 Local Court Appeal
0 Mechanic's Lien
0 Name Change
0 Pistol Perrn~t Revocation Heanng
0 Sale or Finance of ReligiouslNot-for-Profit Property
0-
(spadfy)
9 ~l ect i on Law
0 MHL Article 9.60 (Kendra's Law)
0 MHL Arbcle 10 (Sex Offender Confinement-initial)
0 MHL Article 10 (Sex Offender Confinement-Rewew)
0 MHL Article 81 (Guardianship)
0 Other Mental Hygiene:
( ~ Wl t y )
0 Other Special ?peeding:
-/ . bpeuty)
STAfus <X ACTION OR.PROCCE~INU: ' . .Answer YES or NO for EVERY q&&on ~ ~ b e n t e i additional iiformation where indcafed
I YES I NO
Has a summons and complaint or suhmons wlnotice been filed?
8) 0 ' If yes, date filed:
l 2
ClAL INTERVENTION: Cheek ONE box onlyAND ~rdtl'iiljnformation where indicated.
nfmr's Cornwmtse
0 Note of Issue and/or Certificate of Readiness
0 Nobe of h4tdical. Dental. or Pediatric Malpractice Date lssue Joined:
0 Nobce df Motion Relief Sought: Return Date:
0 N o w of Petition Relief Sought: Return Date:
=order to show cause Relief Sought: m o . wf/% /PJ"paH pm. Return Date: 9 % 6 L z
0 Other Ex Parte Application Relief Sought: A@=.
0 Poor Persora Application
0 Request for Preliminary Conference
0 Residential Mortgage Foreclosure Settlement Conference
0 Wnt d Habeas Corpus
0 - (sPeafY):
RUATEDCASES:
List any r el at edact i : Fm IGl-Mlial actions, k;elude&y-m4ated'~drninal andhx Famlly Court cases. - , ; . ;- , , ,-.
If additional space is-required, complek and attach the R31 Addendum. %Ifmorre.'leave blank.
. - " C L - T
- . z 7 e 2 - -
Case Ti l e
S%WM~ Cf. wvfl
,krcr r k~ &%"lr36fl
%PI < v PYSBO Y
Court
Kt@J-svf
LC
1 1 .
IndexlCase No.
296' f f -
- z,EcjB
'I-q by E
Z ~ I - a a a
PARTIES:
'If addifionalspace isrequired, complete andattach the.RJMW.@dwi'. , & L A ; ;J , ; . : -
,
: - A- . S. ." , ,*$ *- . ' <'$ -$,' s'-.c
- ? * l h 4
For partieswthout an attorney, check"UnlRep- box AND entecparly address, Mane"Tiumberand&ailld&lrss&4n * ~ t t k ~ =$ace. . . ..-
Judge (if assigned)
S ~ H ~ L Q ~ J S C
1 I!
Y C H ~ ~ C ~ C -I sc
Relationship to Instant Case
r r - + - e 8 ~ m i e 4 mL-na& C J R ~ er J
k c rcL/F 2 m ~ ~ C T ( 6 ~
CG am - RP- 1 2 - s x -
Un-
Rep
Parties:
L~st parties in caption order and
Indicate pa* role(s) (e.g
3rd-party plaintiff).
'%U@It;
l ast Name
CMA IS ~9P-r Wk.
Attorneys:
Provide name, firm name, business address, phone number and e-mail
address of all attorneys that have appeared in the case.
, 5Tgl / r Jl K
Last Name
~,4&s7A@-H3C- LgPC
Flrst Name
~tl p - t v?NTt " -
Finn N me F ~ n t Name
NO
lssue
Joined
(YIN):
DYES
Primary Role:
Secondary Rde (tf any):
&~ ~ = FKI 6
LastNan?
Insurance Carrier(s):
37 vw-3 We Bmq$d - i t
Stred Address c b Stste
BW-QOL-~TA Phone 7 Fax - ~ f i R o r ~ z ~ @ emall
hat Name Mllms
THERE ARE AMD
D
I AFFIRM
HAVE BEEN NO RELATED ACTIONS OR PROCEEDINGS, NOR H UDfClAL m Y BEB(
FILED IN THIS ACTION OR PROCEEDING.
Dated: ( 0 / &, mlz-
22%- SIGNATURE
~F- RG~x~~MM
FE cfie (c~wjq px ac +* h d < F ~ E
ATTORNEY REGISTRATION NUMBER PRINT OR TYPE NAME
'..
M&E-J
F i i Name
pnnurV Rob: - p e r .
Sacaday Role (if any):
Last Name
Fbdllar*
Rimay Role:
secondary Rob (if any):
L.rt Name
Flmt Na m
Primary Role:
Secondary Role (It any):
UNDER THE PENALTY OF
YES
Finn Name
Stmt A d d m cftr st.b,
Phone Fax d
LatHrru Fhtltrac
Rml l m
Street Mdron car -
Phane k d
hst Name FiP'
OW
OYES
om,
Fkmthm
S W Address ctr &
Phone Fax .J
OW
PERJURY THAT, TO MY KNOWLEDGE, OTHER THAN AS MUTED Asov+
Strunk v Jeffries et al. Article 78 NYSSC for Kings County Index No.: 21948-2012
Christopher-Earl: Strunks AFFIDAVIT in support of Note of Issue
Exhibit 5
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- (Hon. David I. Schmidt J.S.C.)
David A. Paterson (NYS Governor), Andrew Cuomo
(NYS Attorney General), Thomas P. DiNapoli
(NYS Comptroller), Sheldon Silver (NYS Speaker of PLAINTIFFS AFFIDAVIT IN
the Assembly), Malcolm Smith (NYS Senator),
Hakeem Jeffries (NYS Assemblyman for the 57
th
AD), SUPPORT OF NOTICE OF
Christine Quinn (NYC Speaker of the Council),
William Thompson (NYC Comptroller), MOTION with CPLR 3101(d)
Jim Tedisco (NYS Assemblyman), Dean Skelos
(President pro tempore of the NYS Senate) in their and JUDICIAL NOTICE OF
Official Capacities and individually, the Democrat
Candidate Presidential Electors as a class, in their official PLAINTIFFS STATUS
Capacity and individually; The New York State Board
of Elections and John Does and Jane Does
Defendants.
-------------------------------------------------------------------------x
Exhibit 3
Plaintiff / Appellant
Christopher-Earl: Strunk in esse
Appellant self-represented w/o attorney
593 Vanderbilt Avenue #281
Brooklyn, New York 11238
Ph. 845-901-6767 Email: chris@strunk.ws
Defendants / Respondents
ERIC T. SCHNEIDERMAN Attorney General of NYS
by: CLAUDE PLATTON, Esq. AAG Assistant Attorney General
120 BROADWAY 25th Floor
New York, New York 10271-0332
Telephone (212) 416-8020
Representing: NEW YORK STATE BOARD OF ELECTIONS:
J AMES A. WALSH, DOUGLAS A. KELLNER, Co-Chairs
EVELYN J . AQUILA / Commissioner, GREGORY P.
PETERSON / Commissioner, Deputy Director TODD D.
VALENTINE, Deputy Director STANLEY ZALEN;
ANDREW CUOMO, ERIC SCHNEIDERMAN, THOMAS P.
DINAPOLI, RUTH NOEM COLN, in their Official and individual capacity;
DEMOCRATIC STATE COMMITTEE OF THE STATE OF NEW YORK;
STATE COMMITTEE OF THE WORKING FAMILIES PARTY OF NEW
YORK STATE; THE NEW YORK STATE REPUBLICAN STATE
COMMITTEE; THE NEW YORK STATE COMMITTEE OF THE
INDEPENDENCE PARTY; STATE COMMITTEE OF
THE CONSERVATIVE PARTY OF NEW YORK STATE;
Todd E. Phillips, Esq. of
CAPLIN & DRYSDALE, CHARTERED
One Thomas Circle, N.W., Suite 1100,
Washington, DC 20005
Telephone:
Representing:
J OHN SIDNEY MCCAIN III; MCCAIN VICTORY
2008; MCCAIN-PALIN VICTORY 2008;
i
THOMAS J . GARRY, Esq. of
HARRIS BEACH, PLLC
The OMNI 333 Earle Ovington Blvd., Suite 901
Uniondale, New York 11553
Telephone:
Representing:
J OSEPH R. BIDEN, J R.; SOEBARKAH (a.k.a. Barry Soetoro, a.k.a. Barack
Hussein Obama II, a.k.a. Steve Dunham); NANCY PELOSI; PENNY S.
PRITZKER; OBAMA FOR AMERICA; OBAMA VICTORY FUND
J AMES C. DUGAN Esq. of
WILLKIE FARR & GALLAGHER LLP
787 Seventh Avenue
New York, N.Y. 10019-6099
Telephone:
Representing: GEORGE SOROS;
MARSHAL BELL, Esq. of
McGUIRE WOODS LLP
1345 Avenue of Americas, 7th Floor
New York, New York 10105
Telephone:
Representing: ZBIGNIEW KAIMIERZ BRZEZINSKI;
MARK BRZEZINSKI; IAN J . BRZEZINSKI;
TODD A. BROMBERG ESQ. of
WILEY REIN LLP -
1776K Street, NW
Washington D.C. 20006
Telephone:
Representing: J OHN A. BOEHNER;
ii
Christopher J . Latell Esq. and Daniel S. Reich Esq. of
RABINOWITZ, BOUDIN, STANDARD, KRINSKY & LIEBERMAN, PC
45 Broadway, Suite 1700
New York, New York 10006-3791
Telephone:
Representing: RGER CALERO; THE SOCIALIST WORKERS PARTY
Erica Burke, Esq. of
SIMPSON THACHER & BARTLETT LLP
425 Lexington Avenue
New York. New York 10017-3954
Telephone:
Representing: PETER G. PETERSON
MICHAEL CARDOZO Corporation Counsel of City of New York
By: CHLARENS ORSLAND, Esq. Assistant Corporation Counsel
New York City Law Department
100 Church Street New York, New York 10007
Telephone: (212) 788-0904
Representing: Fr. J OSEPH A. O'HARE, S.J .; Fr. J OSEPH P. PARKES, S.J .;
FREDERICK A.O. SCHWARZ, J R.;
iii
APPELLANT BRIEF
TABLE OF CONTENTS
Parties...i
Table of Authoritiesvi
Introduction..2
Statement of the Case on Appeal.....3
J udicial Notices in regards to the Status of Appellant
First J udicial Notice: (A) that there is a pending decision herein on the
notice of motion filed with this court with a return date of April 25, 2014 for
enlargement of time (B) that there are active related cases before the
Honorable David I Schmidt in Kings Count Supreme with Index Nos:
29642-2008 and 21948-2012...4
Second J udicial Notice: that the trial for 29642-2008 and 21948-2012 will
prove fraud in the use of forged documents for Barack Hussein Obama II to
gain ballot access to USURP the Office of POTUS in both the 2008 and
2012 elections cycles as an act of treason and misprision of treason4
Third J udicial Notice: that on April 29, 2014 at 1:20PM the Clerk of
Superior Court of Georgia for the County of Lamar recorded the notice of
acceptance of appointment of Christopher Earl Strunk as the Executor /
iv
Table of Authorities
Pages
Cases
Minor v. Happersett, 88 U.S. (21 Wall.) 162 (1875) 8
U.S. v. Wong Kim Ark, 169 U.S. 649 (1898) 9
Brown v Bernstein, DCPA 49 F. Supp 728 732 6
Federal Statutes
18 U.S. Code 2381 Treason 5
18 U.S. Code 2382 - Misprision of treason 5
12 USC 95a and 50 USC App. 5(b) 6,7
United States Constitution
Article 2 Section 1 Clause 5
3,6, 9,
12
14th Amendment 14
Other sources
The Law of Nations, Section 212 (London 1797) 9
A Proposal For Printing in English, The Select Orations of Marcus Tullius
Cicero according to the last Oxford Edition 17 (Henry Eelbeck trans.
London 1720). 9
Politics, Book Three, Part II,
Aristotle, writing in 350 B.C.E., as translated by Benjamin J owett, 7
J .S. Reeves, The Influence of the Law of Nature Upon International Law
in the United States, 3 Am.J . Intl L. 547 et. seq. passim (1909) 10
Lee A. Casey, David B. Rivkin, J r. and Darin R. Bartram, Unlawful
Belligerency and Its Implications Under International Law, 10
R.G. Natelson, The Original Constitution 49 and 69 (2010) 10
Related cases:
Strunk v Paterson et al. NYS Supt Ct. Kings County Index 2,4
No.: 29642-08
Strunk v J effries et al. NYS Supt Ct. Kings County Index 2,4
No.: 21948-12
STATE OF NEW YORK )
} ss:
COUNTY OF KINGS )
Accordingly, I, Christopher-Earl: Strunk in esse Sui juris agent, being duly
sworn. depose and say:
Introduction
This is the Appellants Appeal Brief for Appeal 2013-6335 for consolidated
hearing together with Appeal 2012-5515 taken from the Order of April 11, 2012
filed J une 20, 2013, and Appeal 2014-00297 taken from the Order of December 9,
2013 as against all defendants accompanies the record subpoenaed for each of the
Orders for use by the Court in deliberation.
That this Appellants Brief for the appeal 2013-6335 taken within 35
calendar from the March 29, 2013 Order entered by McGuire Woods LLP on April
18, 2013 counsel to Defendants ZBIGNIEW KAIMIERZ BRZEZINSKI, MARK
BRZEZINSKI and IAN J . BRZEZINSKI in the total money amount of $75,600.00
for attorney fees and $2,446.74 for disbursements for a total of $78,156.74 resulted
from the alleged frivolous conduct of Plaintiff CHRISTOPHER EARL STRUNK
as would apply to all the Defendants (see the annexed Order and Notice of Appeal
with statement filed the court);
Brief for Appeal No.: 13-06335 Page 2 of 20
Statement of the Case on Appeal
That were Plaintiff on the merits found not to be Delusional, Fanciful and
Frivolous as Plaintiff was adjudged by Arthur M. Schack J SC at the Trial court
level with Kings County Index no: 6500-2011 on April 11, 2012; and
That Plaintiff fraud challenge as to the New York States Board of Elections
et al is a result of the discovery of their willful misuse of United States
Constitution Article II Section 1 Clause 5 as to the merits of the eligibility
requirements for any candidate slate seeking ballot access and election to the office
of President and or Vice President of the United States (POTUS) along with each
of those entities or persons materially seeking to impose onto the New York State
ballot in 2008, 2012 and in 2016 as a continuing injury by state entities that despite
being warned of ineligibility in 2008 placed Barack Hussein Obama II aka Barry
Soetoro aka SOEBARKAH, aka Steve Dunham, aka Barry Allen Owens with
J oseph R. Biden as a slate, the J ohn Sidney McCain and the Palin slate and the
Roger Calero slate unto the ballot at the 2008 Presidential election cycle; and
when all three Presidential candidates slates were and are never to be eligible as
natural-born Citizens of the United States, and that all persons acted with intent
of committing misprision of treason in the commission of willful fraud against the
beneficial interest of Plaintiffs unalienable rights who along with voters have been
denied any remedy available under law.; and as such requires pure equity relief
Brief for Appeal No.: 13-06335 Page 3 of 20
under the maxims of equity here as it were a Bill particulars for the Appellate
Panel and Court embank to issue a decree for equity relief. In that the need for a
decree by reason of the lack of POTUS eligibility defines the very existence of the
Court in matter of such magnitude that has never been a more important case
involving grave national security with such constellation of parties now
represented by the nine attorneys quite unlike any prior time in case history.
Judicial Notices in regards to the Status of Appellant
Please take J udicial Notice that there is a pending decision herein on the
notice of motion filed with this court with a return date of April 25, 2014 for
enlargement of time herein to file this and the accompanying brief for the 2013-
6335 and 2014-00297 to be done after the trial for two (2) related electoral college
cases with Index Nos: 29642-2008 and 21948-2012 still before the Honorable
David I. Schmidt with motions taken on submission on 28 March 2014 awaiting
resolution for a consolidated trial for each schedule for J une 18, 2014 with a pre
trial conference scheduled J une 13, 2014.
Please Take Further J udicial Notice that the trial will prove fraud in the use
of forged documents for Barack Hussein Obama II to gain ballot access to USURP
the Office of POTUS in both the 2008 and 2012 elections cycles as an act of
treason and misprision of treason at the state and or federal level is J udicial Notice
Brief for Appeal No.: 13-06335 Page 4 of 20
that carries with it personal liability for this court according to Federal statutes
accordingly, quote:
18 U.S. Code 2381 Treason
Whoever, owing allegiance to the United States, levies war against them or
adheres to their enemies, giving them aid and comfort within the United
States or elsewhere, is guilty of treason and shall suffer death, or shall be
imprisoned not less than five years and fined under this title but not less than
$10,000; and shall be incapable of holding any office under the United
States.
18 U.S. Code 2382 - Misprision of treason :
Whoever, owing allegiance to the United States and having knowledge of
the commission of any treason against them, conceals and does not, as soon
as may be, disclose and make known the same to the President or to some
judge of the United States, or to the governor or to some judge or justice of a
particular State, is guilty of misprision of treason and shall be fined under
this title or imprisoned not more than seven years, or both. (emphasis by
Appellate)
Please Take Further J udicial Notice that on April 29, 2014 at 1:20PM the Clerk of
Superior Court of Georgia for the County of Lamar recorded the notice of
acceptance of appointment of Christopher Earl Strunk as the Executor / Settlor of
The Express Deed in Trust to The United States of America in BPA BOOK 32
PAGES 716 thru 754; and that the acceptance by Christopher Earl Strunk in esse
Sui juris private citizen of the United States the secured beneficiary agent of the
Debtor Trust transmitting utility CHRISTOPHER EARL STRUNK, is
appointed to perform the public duties of Executor and Settlor for the Express
Deed In Trust To The United States Of America With Beneficiary Discretion For
Brief for Appeal No.: 13-06335 Page 5 of 20
Private Citizens Of The United States Who Are True Natural-Born Citizens Under
The United States Constitution Article 2 Section 1 Clause 5 And Not Surety-
Indentures For Their Respective Debtor Trust Entity Under 12 USC 95a and 50
USC App. 5(b) Martial Government with a Continuing National Emergency
(Express Deed in Trust) responsible for the beneficial claim by its Beneficiaries,
with Settlor duty to the Express Deed in Trust shall guarantee that all incumbents
and future candidate(s) for the Office of President or Vice President of the United
States (POTUS) shall be a bonafide Natural-Born Citizen (NBC) private citizen of
the United States agent who is surety no more to the Debtor Trust Entity in
compliance with the United States Constitution Article 2 Section 1 Clause 5, either
under 12 USC 95 and 50 USC App. 5(b) with the Military Government authority
of renewed annual National Emergency or otherwise; and with the understanding
that in regards to what is a National Emergency, Blacks Law 5
th
Edition cites
Brown v Bernstein, DCPA 49 F. Supp 728 732 that the United States Congress has
not made a distinction between a state of war and a state of national emergency.
The Definition of natural-born Citizen did not derive from the term
natural-born Subject
That Settlors duty as a public officer is to enforce through the Express Deed
in Trust the actual definition of the Natural-born Citizen clause, that as stated in the
Brief for Appeal No.: 13-06335 Page 6 of 20
Appellants Brief filed with the Court on J une 20, 2013 for Appeal case 2012-
5515, the definition does not derive from the term of art natural-born Subject,
but instead was derived from ancient consideration of GODs Natural Law as
expressed in Greece by the works of Aristotle and carried forward for use in
Roman law by the works of Cicero.
Aristotle did not define citizenship like the English did in the English
common law in which they did not give any relevancy to the citizenship of the
childs parents, provided the parents were not diplomats or military invaders.
Aristotle included in the definition of a citizen a person of whom both the
parents are citizens.
(1)
It is this definition which was handed down through the
1
Aristotle also gave us a definition of a natural born Citizen. In Politics, Book Three, Part II,
Aristotle, writing in 350 B.C.E., as translated by Benjamin J owett, gave us his definition of
citizenship:
Part II
But in practice a citizen is defined to be one of whom both the parents are citizens;
others insist on going further back; say to two or three or more ancestors. This is a short
and practical definition but there are some who raise the further question: How this third
or fourth ancestor came to be a citizen? Gorgias of Leontini, partly because he was in a
difficulty, partly in irony, said- 'Mortars are what is made by the mortar-makers, and the
citizens of Larissa are those who are made by the magistrates; for it is their trade to make
Larissaeans.' Yet the question is really simple, for, if according to the definition just
given they shared in the government, they were citizens. This is a better definition than
the other. For the words, 'born of a father or mother who is a citizen,' cannot possibly
apply to the first inhabitants or founders of a state.
There is a greater difficulty in the case of those who have been made citizens after a
revolution, as by Cleisthenes at Athens after the expulsion of the tyrants, for he enrolled
in tribes many metics, both strangers and slaves. The doubt in these cases is, not who is,
but whether he who is ought to be a citizen; and there will still be a furthering the state,
whether a certain act is or is not an act of the state; for what ought not to be is what is
false. Now, there are some who hold office, and yet ought not to hold office, whom we
describe as ruling, but ruling unjustly. And the citizen was defined by the fact of his
Brief for Appeal No.: 13-06335 Page 7 of 20
millennia through the law of nations and which the Founders and Framers adopted
for the new republic. We also see that the then Supreme Court of the United States
(SCOTUS) in Minor v. Happersett, 88 U.S. (21 Wall.) 162 (1875) (Minor)
(decided after the Fourteenth Amendment was adopted in 1868) held that "all
children born in a country of parents who were its citizens became themselves,
upon their birth, citizens also. These were natives or natural-born citizens, as
distinguished from aliens or foreigners" informed that a person who became a
citizen by being born in the country to citizen parents was known in common
law with which the Framers were familiar as a natural-born citizen. How do we
know that the Founders and Framers looked to Aristotles view of citizenship? We
learn from the historical record that Supreme Court J ustice J ames Wilson wrote in
1791: Generally speaking, says the great political authority, Aristotle, a citizen
is one partaking equally of power and of subordination. In Wilson's view, "a
citizen of Pennsylvania is he, who has resided in the state two years; and, within
that time, has paid a state or county tax: or he is between the ages of twenty one
and twenty two years, and the son of a citizen. J ames Wilson, 1st commentaries
on the Constitution. Here we clearly see Wilson referring to what could only be a
natural born Citizen as "the son of a citizen."
holding some kind of rule or office- he who holds a judicial or legislative office fulfills
our definition of a citizen. It is evident, therefore, that the citizens about whom the doubt
has arisen must be called citizens. http://classics.mit.edu/Aristotle/politics.html .
Brief for Appeal No.: 13-06335 Page 8 of 20
We also know that the Founders and Framers studied Roman law. The
Framers were well read in the Roman and Greek classics as is expounded upon in
their writings in the Federalist Papers. J efferson and other Founders had a love for
Roman history and education. The Founders and Framers were great admirers of
Cicero and read many of his works. It is not inconceivable that they would have
read this English translation of The Proposal
(2)
and seen the clause natural born
Citizen. This shows that they did not need to borrow the clause from English
common laws natural born subject. Rather, they had sources that they read
which contained the exact clause, natural born Citizen, which clause also had its
own meaning which was different from that of an English natural born subject
which allowed children born in the Kings dominion and under his allegiance to
aliens to be English natural born subjects.
A definition of a natural born Citizen was also provided by the world-
renowned, Emer de Vattel in his The Law of Nations, Section 212 (London 1797)
2
Roman law provided: Lex MENSIA, That a child should be held as a foreigner, if either of
the parents was so. But if both parents were Romans and married, children always obtained the
rank of the father, (patrem sequuntur liberi, Liv. iv. 4.) and if unmarried, of the mother, Uipian.
Alexander Adam, Roman antiquities: or, An account of the manners and customs of the Romans
10 (6th ed. corrected 1807). Cicero wrote in A Proposal: 2
The Colophonians claim Homer as their own free Denizen, the Chians challenge him as theirs,
the Salaminians demand him again for their own, but the Smyrneans assert him to be their
natural born Citizen; and therefore have also dedicated a Temple to him in their Town of
Smyrna. There are a great many besides at Daggers-drawing among themselves, and contend for
him.
A Proposal For Printing in English, The Select Orations of Marcus Tullius Cicero, According to
the last Oxford Edition 17 (Henry Eelbeck trans. London 1720).
Brief for Appeal No.: 13-06335 Page 9 of 20
(1st ed. Neuchatel 1758). Vattel had a great influence on the Founders and Framers
in their constituting the new republic and writing the Constitution. See, for
example, J .S. Reeves, The Influence of the Law of Nature Upon International Law
in the United States, 3 Am.J . Intl L. 547 et. seq. passim (1909) (Vattel exerted
such a profound political influence that it is often pointed out that his theories
served as the backbone for American independence) Lee A. Casey, David B.
Rivkin, J r. and Darin R. Bartram, Unlawful Belligerency and Its Implications
Under International Law,
(3)
(concerning U.S. constitutional analysis, Vattel is
highly important. He was probably the international law expert most widely read
among the Framers). In fact, Vattel continued to be practically applied in our
nation for well over 100 years after the birth of the republic; F.S. Ruddy, The
Acceptance of Vattel, Grotian Society Papers (1972) (Vattel was mainstream
political philosophy during the writing of the Constitution. The Law of Nations was
significantly the most cited legal source in America jurisprudence between 1789
and 1820). The Founders and Framers studied and were greatly influenced by
Vattel. R.G. Natelson, The Original Constitution 49 and 69 (2010) (Vattel was
probably the Founders favorite authority on international law . . . . and his,
treatise, The Law of Nations, was their favorite).
What Minor said about a natural born Citizen was confirmed in U.S. v.
3
http://www.fed-soc.org/publications/PubID.104/pub_detail.asp
Brief for Appeal No.: 13-06335 Page 10 of 20
Wong Kim Ark, 169 U.S. 649 (1898) (acknowledging and confirming Minors
American common law definition of a natural-born citizen but adding based on
the English common law that since [t]he child of an alien, if born in the country,
is as much a citizen as the natural-born child of a citizen, and by operation of the
same principle [birth in the country] (bracketed information supplied), a child
born in the United States to domiciled alien parents was a Fourteenth Amendment
citizen of the United States). This American common law definition of a natural
born Citizen has never been changed, not even by the Fourteenth Amendment
(only uses the clause "citizen of the United States" and does not mention "natural
born Citizen") or by Wong Kim Ark, and therefore still prevails today. Both those
U.S. Supreme Court cases define a "natural born Citizen" as a child born in a
country to parents who are citizens of that country.
That for the reasons expressed above, notwithstanding whether a natural
person is born within a State of the United States of married citizen parents or of a
single US Citizen parent, the Executor and Beneficiaries of the Express Deed In
Trust To The United States Of America are of a singular class separate and apart
from those who are either naturalized or born a citizen, and are unable to certify as
eligible for Office of POTUS one of the conquered people of the United States of
America since 4 March 1933 as long as any dejure citizen of the United States
remains the surety-indenture for the Debtor trust with beneficial interest in the
Brief for Appeal No.: 13-06335 Page 11 of 20
surety, for that natural person is the property of the United States and is a slave
unable to fulfill the duties of POTUS.
Therefore, the Executor/Settlor and Beneficiaries are bound by their
registered status as private citizens of the United States with their bonafide status
as a natural-born Citizen within the duties and obligations of the Express Deed in
Trust to only certify a candidate is eligible based upon the foregoing and shall seek
equity relief of a chancery or of pure equity court for relief against any person who
is a USURPER or attempts to USURP the POTUS to the contrary.
Bill of Particular Allegations for pure Equity Relief
1. That Barack Hussein Obama II admits that he was born in Kenya in his
Autobiography of 1996.
2. That J ohn Sidney McCain admits he was born in Panama during the assignment
of his married US Citizen Parents stationed in the Panama Canal Zone.
3. That Roger Calero was born in Nicaragua to parents who were not US Citizens.
4. That Barack Hussein Obama Senior is the natural and legal father of Barack
Hussein Obama II.
5. That there are no genuine official birth records known to exist regarding Barack
Hussein Obama Senior and or J unior in the British National Archives.
Brief for Appeal No.: 13-06335 Page 12 of 20
6. That Barack Hussein Obama Senior was the son of a member of the Mau Mau
terrorist movement in the Sultanate of Zanzibar and British Protectorate.
7. That Barack Hussein Obama Senior was an important asset of the Mau Mau
movement being followed by Intelligence agencies.
8. That Intelligence agencies following Barack Hussein Obama Senior confirmed
that he had an unmarried paramour and who when he impregnated in 1959 bore
his son Barack Hussein Obama II
9. That the natural mother of Barack Hussein Obama II is not an American Citizen
nor was she married to Barack Hussein Obama Sr.
10. That Madeline Payne Dunham was an asset of German Intelligence before.
during and after World War II.
11. That Stanley Dunham and Madeline Dunham worked with the Central
Intelligence agency after the War.
12. That the CIA considered Barack Hussein Obama Senior an essential lead to
networks associated with the Mau Mau Movement in the USA and employed
Stanley and Madeline Dunham in creating a legend for Barack Hussein Obama
II in order to facilitate Barack Hussein Obama Seniors ease of entry and
movement in the USA.
Brief for Appeal No.: 13-06335 Page 13 of 20
13. That a person born as a native of a tribe and or non-European in Kenya and or
the Coastal Protectorate were not recorded as born in records kept at the British
Home Office.
14. That the natural mother of Barack Hussein Obama II is not Stanley Ann
Dunham.
15. That the natural mother of Barack Hussein Obama II is an Indonesian citizen.
16. That Barack Hussein Obama II was born on or about August 4, 1960 not on or
about August 4, 1961.
17. That Barack Hussein Obama II was born a subject of the Sultanate of Zanzibar
not a British Subject.
18. That Barack Hussein Obama II entered by commercial Air carrier from Kenya
during the month of August 1961 in the custody of a woman according to U.S.
Customs entry records and statistics.
19. That Stanley Ann Dunham is the woman who married Barack Hussein Obama
Senior in Hawaii in February 1961
20. That neither Stanley Ann Obama or Stanley Ann Soetoro had a passport before
1965.
21. That Barack Hussein Obama II lived with Stanley Ann Obama in Seattle
starting in August 1961 where she was enrolled as a student and attended
classes at the University of Washington.
Brief for Appeal No.: 13-06335 Page 14 of 20
22. That a next door neighbor to Stanley Ann Dunham when interviewed confirmed
Stanley Ann Dunham (Obama) was caring for a black child who was definitely
not a new born in August 1961.
23. That a person filed a Newspaper Notice in a Hawaiian newspaper announcing
the birth of Barack Hussein Obama II to Barack Hussein and Stanley Ann
Obama on August 4, 1961.
24. That within the period from 1979 thru 1983 Barack Hussein Obama II aka
Barry Soetoro, aka Barry Allen Owens received foreign student assistance in
order to pay tuition for Columbia University and that the records of such are on
file with the New York State Department of Education and or its repository of
records.
25. That Barack Hussein Obama II in his sworn application to obtain a license to
practice law from the Illinois Bar stated that he had never gone by any other
name other than Barack Hussein Obama.
26. That Barack Hussein Obama II voluntarily gave up his license to practice law
in Illinois for no expressed reason, an act that was not even done by Bill Clinton
in Arkansas when found guilty of perjury.
27. That in 2008 and again in 2011, Barack Hussein Obama II proffered two (2)
forged documents alleged by him to be the actual copy of the actual short and
Brief for Appeal No.: 13-06335 Page 15 of 20
then Long form Certificate of Live Birth (CoLB), proven by several
documents to be forged instruments.
28. That Barack Hussein Obama II proffered a forged Selective Service registration
form as if it were done in 1980, and proven by several document experts to be
forged instruments.
29. That Barack Hussein Obama II has no social security number under his entity
name, and it is alleged he is not a legally admitted US citizen or legal
documented immigrant able to obtain proper registration with the Social
Security Administration.
30. That Barack Hussein Obama II is using the Social Security number of a person
born in 1890 in Europe and who legally immigrated to the United States and
obtained social security registration in the State of Connecticut and when he
moved to Hawaii before he died without ever filing for benefits.
31. That Madeline Dunham was the Trust officer for the Bank of Hawaii, inter alia
with the duty to be in charge of accounts of those who had died intestate, and
that she obtained use of the social security number for Barack Hussein Obama
II.
32. That Madeline Dunham as the Trust Officer of the Bank of Hawaii for
investments in the Pacific rim by the Ford Foundation officiated by Thomas
Brief for Appeal No.: 13-06335 Page 16 of 20
Geithner the father of Timothy Geithner the Treasury Secretary appointed under
Barack Hussein Obama II.
33. That Stanley Ann Dunham was employed by the Ford Foundation while
working as a Micro Lending Program agent for both the Ford Foundation and
the Bank of Hawaii in the Pacific rim.
34. That the woman in charge of the Hawaii Department of Health in charge of
birth certificates an records died in a plane crash in 2013.
35. That the woman in charge of the Hawaii Department of Health in charge of the
alleged CoLB for Barack Hussein Obama II was the Hawaiian leader of
branch of the Indonesian SUBUD cult.
36. That Barack Hussein Obama II is a member of the Indonesian SUBUD cult.
37. That there is a DNA test of the Indonesian Soetoro half-sister of Barack
Hussein Obama II, and that the results show that she has no DNA shared with
Barack Hussein Obama II through Stanley Ann Dunham / Obama / Soetoro.
38. That there is a DNA test of Barack Hussein Obama II done while he was a U.S.
Senator by use of a water /wine glass(es) obtained at a public event by persons
posing as waiters, and the results show that he has no DNA shared through
Stanley Ann Dunham or the Dunham Family at all.
39. That based upon the above allegations, Barack Hussein Obama II is not NBC,
and therefore not eligible to annually renew the National Emergencies as the
Brief for Appeal No.: 13-06335 Page 17 of 20
commander-in-chief with executive authority over all defacto martial rule
Federal and State(s) courts.
40. That for there debtor entity person to be eligible to file income tax returns with
the Internal Revenue Service the named entity person must have a surety-
indenture obligated to pay the tax.
41. That when the debtor entity person does not have a surety-indenture to pay the
taxes calculated for the annual income tax return filed with the Internal
Revenue Service (IRS) the debtor entity is a Non-taxpayer.
42. That Barack Hussein Obama II, J oseph R. Biden, J ohn Sidney McCain, Roger
Calero, J ohn Boehner, Nancy Pelosi, Andrew Cuomo, sign the annual tax return
as surety-indenture for the debtor entity person filed with the Internal Revenue
Service.
43. That Barack Hussein Obama II, J oseph R. Biden, J ohn Sidney McCain, Roger
Calero, J ohn Boehner, Nancy Pelosi, Andrew Cuomo, remain the surety-
indenture for the Debtor entity person tax payer.
44. That none of the Defendants, especially Barack Hussein Obama II, J oseph R.
Biden, J ohn Sidney McCain, Roger Calero, J ohn Boehner, Nancy Pelosi,
Andrew Cuomo, have ceased to be the surety-indenture for their respective
Debtor Trust with beneficial interest in the living being having been wed as the
surety-indenture to the debtor entity person that by operation of law when the
Brief for Appeal No.: 13-06335 Page 18 of 20
name of the entity was registered after the natural birth or naturalization with
the respective State registrant, is thereafter treated as abandoned property of an
absentee person by operation of the statutory scheme under 12 USC 95a and 50
USC App. 5(b) the Alien Property Custodian (i.e. the United States Secretary of
the Treasury, the United States Attorney General, and other agencies designated
by the POTUS Commander-in-chief).
45. That the Debtor Trust transmitting utility CHRISTOPHER EARL
STRUNK is a Non-taxpayer exempt from IRS filing.
Conclusion in support of Relief
Based upon the record subpoenaed and delivered to the Clerk of this Court as a
record associated with matters of elections law with willful fraud perpetrated upon
Plaintiff; and heretofore, there has not been any legal relief or remedy for Plaintiff
or anyone else in the Country either in Federal or State jurisdiction in the matter of
the usurpation of the Office of POTUS, and that this is a matter of grave national
security involving high crimes outrageously ignored by Federal and State judges
despite notice of misprision of treason.
That Appellant wishes pure equity remedy herein that would include sealing
this case and issuing subpoenas and testimony for a broad solution decree under
the maxims of equity and that Appellant wishes further and different relief as the
Brief for Appeal No.: 13-06335 Page 19 of 20
Mmhall Beil
Jacob Hildner
McGUEREWOODS LLP
1345 Avenue of the Americas, 7th Floor
New York, New k-ork 10105
(2 12) 54 8-7004
Attorneys for Defendant. Zbigniw B~ezi nski , Mark Rrrezinski, uandlm Brzezinskj
SUPEME COURT OF THE STATE OF NEW Y O K
COUhrTY OF KINGS
-------"---------h---+-h+h-*--------------*----m-----.--------------
X
CHRISTOPHER-EARL STRLNK,
Plninfi,fJ Index No. 6500120 1 1
v.
NOTICE OF ENTRY
NEW YORK STATE BOARD OF ET-ECTIONS, et al.,
Defendants.
-r----fr---"--------*-------------*---------------------------------
X
PLEASE TAKE NOTICE that the attached is a true copy of the Decision and Order of
the Hon. Mhur M. Schack, J,S.C., dated March 29,2013, that was entered by the County Clerk
of Kings County on April 10,20 13.
Dated: New York, New York
April 18,2013
qz$r/~/
Marsh I1 Beil
Jacob Hildner L
I345 Avenue of the Americas, 7th Floor
New York, New York I0 105
(2 E 2) 548-7004
Attorneys for Defendants
Zbignimu Brzezin~ki~ +Mark Brzezinski, and
Icrn Erzezinskl
TO:
Christopher-Earl Strunk
593 Vanderbilt Avenue, ff2&1
Brooklyn, New York 1 1238
Phintix pro se
Eric T. Schneiderman
Attorncy General of the State ofNetv York
By: Joel Grabcr
Assistant Attorney Gcneral
Special Litigalion Counsel
Litigation I31weau
I20 Broadway - 24th Floor
New York, New Ynrk 1027 1
(21 2) 416-8645
Michael Cardoto
Corporation Counsel of Ithe City of New York
By: CI~larens Orsland
Assistant Corporation Counsel
New York City Law Dcpastmcnt
1 00 Church St.
Sew York, New York 10007
(2 12) 7&8-0904
Caplin & Drysdalc, Chnrtercd
James P. Wehner
One TI~omas Circle, N W
Nrashington, D.C. 26005
(202) 862-5000
And
Eta C. Tobin
375 Park Avenue, 35h Floor
New York, Ncw York 10 152
.
(212) 319-7125
A lforneys for Defenda~is McCain Vicfory
2008, iMcCain-Palin Victory 2005, and
John S. McCain
Harris Beach, PLLC
Thomas J. B q , Esq.
Kcith M. CorbM, Esq.
The 0;MNI:
333 Fade Ovington Blvd., Suite 901
Uniondale, New York 1 1533
Attorneys for Presidenr Barack Obama,
Vice President Joseph R. Biden, Jp,,
Obarna for America, Obama Victory Fzmd,
ovld lcJnncy Pelmi
Rabinowitz, Boudin, Standard, Krinsky, &
Liebeman, P.C.
Daniel S. Rcich
Cluistopher J. Klatell
45 Broadway, Suite 1700
Ncw York, New York 10006
Allorneys for Defendants Socialis! Worke~s
Purp nnd Roger Col'ero
Simpson Thacher & Bartlett LLP
Paul C. Gluckotv
Sad1 L. Durn
425 Lexington Avenue
New Yo&, New York 10017-3954
(212) 455-2000
Affomeys for Defendcrnt Perer G. Peterson
WiIZkie Fan & Gallagher
James C. Dugan
787 Seventh Avenue
New York, New Ynrk 10019
(2 12) 728-8000
Attorneys for Defendant George Soros
At an IAS Tern, Part 27 of
the Supreme Court of the
State of New York, heid in
attd for thc County of
Kings, at the Courthouse,
at Civic Center, Rrooklyn,
New York, on the 29th day
of March 2013
Justice.
CI-IRISTOPHER-EAIII, STRUA'K, in esse
hFTV YORK STATE BOARD OT: Et ECnONS;
JAMES A. RriXSIUCo-Chair, DOUGLAS A.
KE1,LNER;Co-Chair, EVE1,W J. RQULN
Commissioner, GREGORY P. PETERSON
Co~nrnissioner, Deputy Director 'TODD Q.
V.+21TdF;NTINE, Deputy Director S'TtViYLY ZAZ,EN;
ANIISREW CUOMO, ERIC SCI-NEIIIERhZAN,
'I'ROMAS P. DWAPQLI, RUT1 I NOEMI COLON,
irr thcir Omcia1 and individual capacity? FR. JOSEPH A.
QqR4RE. S.J.; FI'I. JOSEPH P. PAKKES, S.3.;
FWDESUCK A, 0. SCHWARZ. JR.; P E E R Ci.
PB'fEltS13N; ZBIGNIEW KAI h! [ERZ RRZEZINSKI ;
MARK RRZEZNSKI; JOSFPFl R. BIDEN, R.;
SOEl3AKKATI (a.k.3 Barry Soeroro Lf!@@m$744~ EIOZ
I russein Oberna, a.k.a Steve Dunlzar
r A, C
PELOS[; DE.bj.IOCmTIC STATE C O ~ ~ F E E OF?'' ' '
THE STATE OF NEW Y O N ; STATE COT\ ~ ~ %! ! ~ E
OF THE JVOWhTG FAMILIES PARTY OF N E\lf
DEClSlON & ORDER
Tr~des No, 6500/11
award to any party of ahlorney in any civil action or proceeding before the court . . . costs
in the forin or reimbursemerat fix ackllal expcnscs rc~sollakly incuficd and reasonable
attorney's fees, resultiazg from frivolous conduct as detined in this Part." Xlrr analyzing
these billing records and affictavits or aflirm:itions: the Court Grids that these fees are
reasorlable in light of Bfrc: tirnc and labor required: novelty and difficulty ofthe questions
invotved; skiill reqtrisi~c tu perform the legal se~-vices properly; performance of these
servi ~es prcclrriting ernploynlcnt of attorneys ox1 other rraattcrs; fees customarily charged
for 3imilar Begrzl services; n;itrrrc of the irrstaixt action; resrrlts obtai~ed; nature arid length
of the profession:il re ii~tiirncilips with clients: and, exgserienee, repti tation azd ability uf
attorneys and s~mppum.b btofrperfc:clmliug services. Mtlrecrver, plairntirf SSTRtmK did not
crbject to the proposed costs prese~xred to the Co i ~ t .
McGrrire, tlioods U P , counsel for dek-ndarats ZBIGNIEpJkF KAIMTERZ
UJSEZINSKI, MARK If3X$%E:%INSKT and I AN S. RRZEZINSKF bilXed defenkt~tllts
2I3IGNIK'LY KAIXLTIEItZ BRItZEZINSKT, MARK MRZEZNSKI and IAN J.
UKZEZXNSKI $7S,CiI3(1 OCI for ;ittortxcy"s fees and $1,446.74 fix disbursements, f ~+r a total
of $78,156.74, "Therehre, the Court awards to det'etldants ZBIIGNIGtV IChIMTRW,
RRZEZINSKI; MARK BR2PZINSMI arid IAN d. R=G%INSKI $78,156.74 for ""costs in
the fbrtn uf relrnbrirstnlcrit for ~CTL~; BI C X ~ ~ I I S C S rcasonclbly iancurrcd and reasonal~lc
atton~cy's fees, resullifzg from Ckolouh conctuct" ~ I ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ C H N S T C ~ P H E R - B A M ,
?; X'ISIINK.
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- (Hon. David I. Schmidt J.S.C.)
David A. Paterson (NYS Governor), Andrew Cuomo
(NYS Attorney General), Thomas P. DiNapoli
(NYS Comptroller), Sheldon Silver (NYS Speaker of PLAINTIFFS AFFIDAVIT IN
the Assembly), Malcolm Smith (NYS Senator),
Hakeem Jeffries (NYS Assemblyman for the 57
th
AD), SUPPORT OF NOTICE OF
Christine Quinn (NYC Speaker of the Council),
William Thompson (NYC Comptroller), MOTION with CPLR 3101(d)
Jim Tedisco (NYS Assemblyman), Dean Skelos
(President pro tempore of the NYS Senate) in their and JUDICIAL NOTICE OF
Official Capacities and individually, the Democrat
Candidate Presidential Electors as a class, in their official PLAINTIFFS STATUS
Capacity and individually; The New York State Board
of Elections and John Does and Jane Does
Defendants.
-------------------------------------------------------------------------x
Exhibit 4
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit B
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit C
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
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit D
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit E
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit F
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit G
Bupreme Clhurt of the Btate of PQelu work
Appellate l i ui ~i nn: beranh luhirial Department
MI70416
Elsl
PETER B. SKELOS, J.P.
THOMAS A. DICKERSON
JOHN M. LEVENTHAL
L. PRISCILLA HALL, JJ.
Christopher-Earl Strunk, appellant,
v New York State Board of Elections,
et al., respondents.
(Index No. 650011 1)
DECISION & ORDER ON MOTION
Motion by the appellant pro se, inter alia, "for civilian due process of law" on appeals
from three orders of the Supreme Court, Kings County, dated April 1 l , 20 12, March 29,20 13, and
December 9,201 3, respectively.
Upon the papers filed in support of the motion and the papers filed in opposition
thereto, it is
ORDERED that the motion is denied; and it is further,
ORDERED that on the Court's own motion, the appellant's time to perfect the appeal
from the order dated March 29,201 3 (Appellate Division Docket No. 201 3-06335), is enlarged until
May 5, 2014, and the record or appendix and the appellant's brief must be served and filed on or
before that date.
SKELOS, J.P., DICKERSON, LEVENTHAL and HALL, JJ., concur.
ENTER:
Clerk of the Court
March 4,201 4
STRUNK v NEW YORK STATE BOARD OF ELECTIONS
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit H
H. William Van Allen
351 North Road
Hurley, NY 12443
hvanallen@hvc.rr.com
Phone 845-389-4366
Thursday, January 16, 2014
Via Fax, email, and Certified Mail with Return Receipt
To: The Honorable Gail Prudenti, J.S.C.
Chief Administrative Judge of the Courts
New York State Unified Court System
Office of Court Administration
25 Beaver Street, Room 852
New York, NY 10004
Fax 212-428-2190
Re: NYS Supreme Court Kings County Index No.: 2008-29642, I.A.S. Part 1
STRUNK V. PATERSON ET AL. filed w RJI dated October 29, 2008
2008 POTUS ballot eligibility NYS Electoral College election Kings Civil
Supreme case remains active six (6) years later preventing further motion
intervention by petitioner-intervener at the Second Department Appellate
Division and/or direct appeal of constitutional language issue to New York
State Court of Appeals.
Please investigate the administrative status of this matter as soon as possible.
Subject matter is Presidential Electoral College Election Matter with
national security ramifications now having given your office personal notice
at Albany Empire State Plaza Office of Chief Administrative Judge Prudenti
NYSUC Office of Court Administration.
Respectfully submitted,
/s/
H. William Van Allen
WebCivil Supreme - Case Detail
Court: Kings Civil Supreme
Index Number: 029642/2008
Case Name: STRUNK,CHRISTOPHER EARL vs. PATERSON,DAVID A.
Case Type: Special Proceedings
Track: Standard
RJI Filed: 10/29/2008
Date NOI Due:
NOI Filed:
Disposition Date:
Calendar Number:
Jury Status:
Justice Name: DAVID SCHMIDT (PT. 47)
WebCivil Supreme - Case Detail
Court: Albany Civil Supreme
Index Number: 001787/2012
Upstate Index Number: 1787-12
Case Name: Van Allen vs. NYS Board Of Elections
Case Type: Spec Proceed-Election
Track: Standard
RJI Filed: 05/30/2012
Upstate RJI Number: 01-12-107051
Date NOI Due:
NOI Filed:
Disposition Date: 08/20/2012
Calendar Number:
Jury Status: Unknown
Justice Name: RICHARD M. PLATKIN
STATE OF NEW YORK )
) ss.
COUNTY OF ULSTER )
Accordingly, I, H. William Van Allen, being duly sworn, depose and say under penalty of perjury:
I am H. William Van Allen, located at the above address and telephone number.
That I had previously filed a motion to intervene in the above referenced civil case as a plaintiff-intervener
dated November 22, 2011, as I still contend my interests were not properly represented by therein Plaintiff as to
the constitutional issue still before that court, and subsequently was denied my intervention attempt to appeal to
no avail as to the unsettled matter as a still ongoing injury to me personally; and I require at least as a matter of
case administration as the case still is held active needs an explanation in the record of the court accordingly.
That court administration there should show cause why the case should not be closed so that interlocutory
orders may be taken on appeal to second department for hearing on the merits as to why with a continuing injury
that started before the 2008 general election that it should not be remanded for amendment and hearing.
The case remains designated as active with no explanation, and as Your Honor is the Administrative Judge
with authority over that Supreme Court in Kings County this matter be resolved there. Thank you in advance for
your attention to my request, and if there is need for further information please do not hesitate to contact me; as
the above matter is true based upon the actual record of the court and my experience as such is an infringement
upon my personally right to a speedy and fair treatment in this unified court system. Respectfully submitted by:
____________________________
H. William Van Allen
Subscribed and Affirmed to before me
This ___ day of January 2014
_____________________
Notary Public
NYS Unified Court System
Office of Court Administration
4 ESP, Suite 2001
Empire State Plaza
Albany, NY 12223-1450
By E-Mail:
question@nycourts.gov
By Phone:
NYC Office: 212-428-2700
212-428-2190 fax
Albany Office: 518-474-3828
Hon. A. Gail Prudenti is the Chief Administrative Judge of the Courts. On behalf of the Chief Judge, the Chief
Administrative Judge supervises the administration and operation of the State's trial courts.
For further information call 212-428-2120.
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit I
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
---------------------------------------------------------------
Workspace Webmail :: Print https://email06.secureserver.net/view_print_multi.php?uidArray=27142|...
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.
Workspace Webmail :: Print https://email06.secureserver.net/view_print_multi.php?uidArray=27142|...
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.
Workspace Webmail :: Print https://email06.secureserver.net/view_print_multi.php?uidArray=27141|...
1 of 1 5/30/2014 4:33 PM
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
SUPREME COURT OF THE STATE OF NEW YORK
APPELLATE DIVISION: SECOND JUDICIAL DEPARTMENT
----------------------------------------------------------------------------------x
CHRISTOPHER EARL STRUNK,
Petitioner,
versus
The Honorable DAVID I. SCHMIDT J.S.C., I.A.S. Part 47
In regards to Case Strunk v Paterson et al Kings
County. Index No.: 29642-2008 and Petition
Strunk v. Jeffries et al. Index No.: 21948-2012 PETITIONERS
The Honorable ARTHUR M. SCHACK J.S.C., I.A.S. Part 23 AFFIDAVIT IN
In regards the 6500-2011 Decision and Order of April 11, 2012 SUPPORT OF
and AN ORDER TO
The Honorable GAIL PRUDENTI J.S.C., New York State SHOW CAUSE
Unified Court System Office of Court Administration.
Respondents.
-----------------------------------------------------------------------------------x
Exhibit J