981 lines
50 KiB
Plaintext
981 lines
50 KiB
Plaintext
|
|
||
|
Conspiracy Nation -- Vol. 9 Num. 44
|
||
|
======================================
|
||
|
("Quid coniuratio est?")
|
||
|
|
||
|
|
||
|
-----------------------------------------------------------------
|
||
|
|
||
|
SHERMAN H. SKOLNICK vs. HILLARY RODHAM CLINTON
|
||
|
==============================================
|
||
|
Document "A" [Received by U.S. District Court July 18, 1996]
|
||
|
------------------------------------------------------------
|
||
|
[Case 96C 4373]
|
||
|
|
||
|
UNITED STATES DISTRICT COURT
|
||
|
NORTHERN DISTRICT OF ILLINOIS
|
||
|
EASTERN DIVISION
|
||
|
|
||
|
SHERMAN H. SKOLNICK and JOSEPH ANDREUCCETTI,
|
||
|
Plaintiffs, )
|
||
|
|
||
|
vs.
|
||
|
|
||
|
HILLARY RODHAM CLINTON; AMY ZISOOK; MARK ZISOOK;
|
||
|
H.C. VALENT;.JOHN E. GIERUM; GERALD H.
|
||
|
PARSHALL, Jr.; ROBERT ALEXOVICH; and ten JOHN
|
||
|
DOES and JANE ROES (whose identity is not now
|
||
|
known to plaintiffs),
|
||
|
Defendants. )
|
||
|
|
||
|
|
||
|
VERIFIED COMPLAINT.
|
||
|
Sherman H. Skolnick and Joseph Andreuccetti, plaintiffs, complain
|
||
|
against the defendants Hillary Rodham Clinton, Amy Zisook, Mark
|
||
|
Zisook, H.C. Valent, John E. Gierum, Gerald H. Parshall, Jr.,
|
||
|
Robert Alexovich, and ten John Does and Jane Roes (whose identity
|
||
|
is not now known to plaintiffs), and allege as follows:
|
||
|
|
||
|
Count One.
|
||
|
Sherman H. Skolnick and Joseph Andreuccetti plaintiffs, complaint
|
||
|
against the defendants Hillary Rodham Clinton, Amy Zisook, Mark
|
||
|
Zisook, H.C. Valent, John E. Gierum, Gerald H. Parshall, Jr.,
|
||
|
Robert Alexovich, and ten John Does and Jane Roes (whose identity
|
||
|
is not now known to the plaintiffs) and allege as follows:
|
||
|
|
||
|
1. Jurisdiction and venue is hereby invoked pursuant to 28
|
||
|
U.S.C.A. $ 1331, and the First, Fourth, and Fifth Amendments of
|
||
|
the U.S. Constitution and case law precedents pursuant thereto,
|
||
|
including but not limited to Bivens vs. Six Unknown Agents, 403
|
||
|
U.S. 388 (1971), as to some of the aforesaid defendants acting
|
||
|
under the sham and pretense of federal authority, but without
|
||
|
actual authority for the acts and doings hereinafter complained
|
||
|
of.
|
||
|
|
||
|
2. That the matter in controvery for each defendant exceeds the
|
||
|
jurisdictional minimum exclusive of interest and costs.
|
||
|
|
||
|
3. That plaintiff Sherman H. Skolnick is a citizen of the United
|
||
|
States and a resident of the Northern District of Illinois,
|
||
|
Eastern Division.
|
||
|
|
||
|
4. That plaintiff Joseph Andreuccetti is a citizen of the United
|
||
|
States and a resident of the Northern District of Illinois,
|
||
|
Eastern Division.
|
||
|
|
||
|
5. Most every act and doings done by defendants, hereinafter
|
||
|
complained of by plaintiffs, was done in the Northern District of
|
||
|
Illinois, Eastern Division.
|
||
|
|
||
|
6. That some of the defendants acted under the sham and pretense
|
||
|
of federal authority but without actual authority to do the acts
|
||
|
and doings hereinafter complained of by plaintiffs.
|
||
|
|
||
|
7. A trial by jury is hereby demanded pursuant to provisions of
|
||
|
law, including but not limited to F.R.C.P. Rule 38(b) and Rule
|
||
|
57.
|
||
|
|
||
|
8. Since 1958, plaintiff Skolnick is a crusader against court
|
||
|
corruption and political murders and seeks as a remedy to bring
|
||
|
to public attention certain instances of judicial and other
|
||
|
bribery and political murders. Since 1971, plaintiff Skolnick's
|
||
|
public disclosures have been on a recorded phone commentary, a
|
||
|
regular phone number, heard by a large number of callers each
|
||
|
week. Since 1991, plaintiff Skolnick has been a regular
|
||
|
panelist, now moderator and producer, of a public access cable TV
|
||
|
show, called "Broadsides", cablecast each week to a large
|
||
|
viewership in Chicago and in some suburbs. Since 1994, plaintiff
|
||
|
Skolnick's comments on judicial corruption and political murders
|
||
|
have appeared on Internet, on various alternative news groups and
|
||
|
are now archived and presented on various Websites.
|
||
|
|
||
|
9. In these capacities of plaintiff Skolnick, plaintiff
|
||
|
Andreuccetti contacted plaintiff Skolnick in 1991, and sought
|
||
|
help and public exposure in long-pending injustices perpetrated
|
||
|
in and out of state and federal courts against plaintiff
|
||
|
Andreuccetti.
|
||
|
|
||
|
10. That defendants, each of them, individually, and jointly,
|
||
|
severally, and in concert with each other and other persons,
|
||
|
have been part of a scheme as follows:
|
||
|
|
||
|
(a) to obstruct the due course of justice as to plaintiffs, and
|
||
|
to damage plaintiffs in their persons, properties, and federal
|
||
|
constitutionally protected rights, privileges, and immunities, as
|
||
|
hereinafter more fully set forth;
|
||
|
|
||
|
(b) to obstruct public disclosure and disclosure in official
|
||
|
tribunals, by plaintiffs, of the secret details of the unlawful
|
||
|
transfer of a 50 million dollar portion of 58.4 million dollars
|
||
|
of funds of the Federal Home Loan Bank, parked and held in
|
||
|
custody, and supposed to be so, with Household Bank and Household
|
||
|
International in the Chicago area, and supposed to be held to
|
||
|
make good the claims of plaintiff Andreuccetti.
|
||
|
|
||
|
(c) the use of said 50 million dollar unlawful transfer by
|
||
|
defendant Hillary Rodham Clinton was to cover up 47 million
|
||
|
dollars that was misappropriated and embezzled, and/or otherwise
|
||
|
unlawfully encumbered, used, or removed from an Arkansas savings
|
||
|
and loan, Madison Guaranty Savings and Loan, as to which
|
||
|
defendant Hillary Rodham Clinton and her husband, William
|
||
|
Jefferson Clinton, committed or caused to be committed, and
|
||
|
allowed, permitted, and condoned, and acquiesced in, acts and
|
||
|
doings punishable under provisions of the federal criminal code.
|
||
|
Part of the scheme included for defendant Hillary Rodham Clinton
|
||
|
to proceed to have acts and doings done against the plaintiffs,
|
||
|
with said defendant pretending to have federal authority; that
|
||
|
although said defendant occupies an office in the White House,
|
||
|
she has no actual federal authority but was part of the scheme to
|
||
|
pretend she did.
|
||
|
|
||
|
11. That in January, 1994, plaintiff Skolnick was sitting in his
|
||
|
wheelchair in the hallway of one of the floors of the site of the
|
||
|
federal courts in Chicago, the Dirksen Federal Building, 219
|
||
|
South Dearborn St., Chicago, IL 60604. Defendant John E. Gierum
|
||
|
came up to plaintiff Skolnick and insisted on talking to
|
||
|
plaintiff about certain matters that were bothering said
|
||
|
defendant. At the time, the defendant appeared highly rattled
|
||
|
and agitated. In a few moments, plaintiff Skolnick and defendant
|
||
|
Gierum were joined by plaintiff Andreuccetti who was coming from
|
||
|
parking his vehicle.
|
||
|
|
||
|
Defendant Gierum told plaintiffs that he was closely aligned with
|
||
|
defendant Hillary Rodham Clinton, being from the same Chicago
|
||
|
suburb of Park Ridge as the Rodham family and having gone to law
|
||
|
school with her brother. Defendant Gierum, pointing to plaintiff
|
||
|
Skolnick, said to plaintiffs, "If you are correct, as you seem to
|
||
|
be, what have I been doing the last ten years?", meaning to be
|
||
|
understood by defendant Gierum and was so understood by
|
||
|
plaintiffs, that defendant Gierum was then and there confirming
|
||
|
that plaintiffs are correct about the very high level corruption,
|
||
|
obstruction of justice as to plaintiffs, is true and correct, and
|
||
|
that Gierum knows about the unlawful matters as herein and
|
||
|
hereinafter set forth and that Gierum has gone along with such
|
||
|
corruption and is a part of the same.
|
||
|
|
||
|
12. Thereafter, on the same day in January, 1994, the discussion
|
||
|
between plaintiffs and defendant Gierum resumed outside the Park
|
||
|
Ridge law offices of defendant Gierum. Said defendant came out
|
||
|
of his office and sat in the front seat of plaintiff
|
||
|
Andreuccetti's vehicle; Gierum sat next to Skolnick and
|
||
|
Andreuccetti sat right behind them. Then and there defendant
|
||
|
Gierum admitted and confessed, as follows, including but not
|
||
|
limited to:
|
||
|
|
||
|
(a) that defendant Hillary Rodham Clinton and the Clinton White
|
||
|
House are trying to frame Gierum and send him to prison by way of
|
||
|
blaming Gierum for the unlawful transfer of the said 50 million
|
||
|
dollars, as hereinbefore described.
|
||
|
|
||
|
(b) That because of very high level corruption, defendant Gierum
|
||
|
would not be able to defend himself, irrespective of the law and
|
||
|
the facts that might otherwise protect him or support his
|
||
|
position.
|
||
|
|
||
|
(c) Whereupon, plaintiff Skolnick said to defendant Gierum,
|
||
|
"John, you seem to be a skilled attorney; you can beat the rap."
|
||
|
Defendant Gierum responded, "No, I can't. It's fixed. I'll no
|
||
|
doubt be calling you from a faraway jail." Whereupon, defendant
|
||
|
Gierum had tears in his eyes as he began talking of his young
|
||
|
child that depends on him and that in jail he would not be able
|
||
|
to take care of that child. "They'll frame their own mother",
|
||
|
defendant Gierum said in anguish, meaning defendant Hillary
|
||
|
Rodham Clinton and her husband. That despite his admissions and
|
||
|
confession, Gierum was a participant in said unlawful transfer.
|
||
|
|
||
|
13. That thereafter, as known to defendant Gierum, and as known
|
||
|
to defendant Hillary Rodham Clinton, plaintiff Skolnick made
|
||
|
numerous public mentions of the matters as in paragraphs 12, (a)
|
||
|
through (c) inclusive, and for some two years after January,
|
||
|
1994, defendant Gierum did not dispute or challenge the same.
|
||
|
That the matter was referred to in court by plaintiff
|
||
|
Andreuccetti, and defendant Gierum did not challenge or dispute
|
||
|
it there either.
|
||
|
|
||
|
14. That in furtherance of the scheme, as hereinbefore
|
||
|
mentioned, defendant Hillary Rodham Clinton, by and through
|
||
|
defendant Gerald H. Parshall, Jr., on February 16, 1995, did,
|
||
|
caused to be done, committed, allowed, permitted, and condoned,
|
||
|
and acquiesced in the following:
|
||
|
|
||
|
(a) that for the purposes of said hereinbefore described scheme,
|
||
|
defendant Parshall, acting for defendant Hillary Rodham Clinton,
|
||
|
and Parshall purporting to be a Clinton Justice Department
|
||
|
official, flew in to Chicago, and threatened, coerced, and
|
||
|
terrorized plaintiffs Skolnick and Andreuccetti in a hallway
|
||
|
outside Courtroom 1858, Dirksen Federal Building, Chicago,
|
||
|
Illlinois, as follows:
|
||
|
|
||
|
(b) That in a menacing and threatening voice, defendant Parshall
|
||
|
said to plaintiffs Skolnick and Andreuccetti, while Parshall was
|
||
|
pointing to Skolnick sitting in his wheelchair, that Parshall was
|
||
|
going to meet privately with Chief Bankruptcy Judge John D.
|
||
|
Schwartz, to get Schwartz to jail Skolnick to stop Skolnick from
|
||
|
investigating and making public statements relating to the
|
||
|
hereinbefore described scheme and certain matters admitted to and
|
||
|
confessed by an Internal Revenue official of the Criminal
|
||
|
Investigation Division as hereinafter set forth. Meaning to be
|
||
|
understood by defendant Hillary Rodham Clinton by and through
|
||
|
defendant Parshall, and so understood by plaintiffs, that
|
||
|
defendant Hillary Rodham Clinton, by and through her confederate
|
||
|
defendant Parshall, was going to ex parte and privately get
|
||
|
Schwartz to misuse his federal authoriity , to arbitrarily and
|
||
|
without authority or jurisdiction over Skolnick, to jail
|
||
|
Skolnick, to stop Skolnick from investigating and publicly
|
||
|
disclosing matters relating to the hereinbefore dsscribed scheme
|
||
|
by defendants.
|
||
|
|
||
|
(c) then and there clearly visible to defendant Parshall, acting
|
||
|
for and on behalf of defendant Hillary Rodham Clinton, was that
|
||
|
plaintiff Skolnick is a helpless, paraplegic invalid in a
|
||
|
wheelchair. That the acts and doings of defendant Hillary Rodham
|
||
|
Clinton, by and through defendant Parshall, were done to
|
||
|
terrorize plaintiff Skolnick and coerce plaintiff Andreuccetti
|
||
|
standing right next to Skolnick's wheelchair, and did so
|
||
|
terrorize and coerce plaintiffs.
|
||
|
|
||
|
(d) That U.S. Magistrate Joan H. Lefkow who occupies said
|
||
|
Courtroom 1858, and her deputy clerk overheard said threats,
|
||
|
terror, and coercion directed against plaintiffs in the hallway.
|
||
|
The deputy clerk of said Magistrate came to the door and stated,
|
||
|
"We inside (meaning her and the Magistrate) can hear everything
|
||
|
you are saying. Please move away from this doorway". At the
|
||
|
time, Magistrate Lefkow was being manipulated by defendant
|
||
|
Hillary Rodham Clinton and defendant Parshall, in that the
|
||
|
husband of defendant Hillary Rodham Clinton had just prior
|
||
|
thereto appointed Lefkow to be a U.S. District Judge, and said
|
||
|
appointment was being manipulated by a top Justice Department
|
||
|
official, Sheila Foster Anthony, sister of Clinton White House
|
||
|
deputy counsel Vincent W. Foster, Jr., who died mysteriously in
|
||
|
July, 1993.
|
||
|
|
||
|
As known to defendants Hillary Rodham Clinton and Parshall,
|
||
|
plaintiff Skolnick as a commentator had made public statements
|
||
|
that defendant Hillary Rodham Clinton and the Clinton Justice
|
||
|
Department were covering up what Skolnick and others believed was
|
||
|
the murder of Foster.
|
||
|
|
||
|
15. That on or about April, 1995, defendant Hillary Rodham
|
||
|
Clinton flew in to Chicago to appear on the Oprah TV Show,
|
||
|
telecast out of Chicago for nationwide distribution. That said
|
||
|
defendant, in describing plaintiff Skolnick, said that Skolnick's
|
||
|
comments have to be blocked. By words, phrases, and statements,
|
||
|
said defendant stated plaintiff is an evil person and should be
|
||
|
obstructed in what he is doing. Meaning to be understood by said
|
||
|
defendant, and so understood by plaintiffs, that Skolnick's
|
||
|
investigation of said hereinbefore described scheme, is to be
|
||
|
obstructed by whatever means possible, even unlawful methods.
|
||
|
That by said statements, said defendant confirmed and ratified
|
||
|
that she was acting to terrorize and coerce plaintiffs, as
|
||
|
hereinbefore described, by and through defendant Parshall and
|
||
|
others. Defendant Hillary Rodham Clinton said in referring to
|
||
|
plaintiff Skolnick as assisted in his TV Show by plaintiff
|
||
|
Andreuccetti, that there is a person in this town (meaning
|
||
|
Chicago) doing a TV about me (meaning Hillary) who has to be
|
||
|
stopped. Meaning plaintiffs are to be "enemies of the state" on
|
||
|
an "enemies list".
|
||
|
|
||
|
16. That defendants Hillary Rodham Clinton and Parshall were in
|
||
|
a position to know that Chief Judge Schwartz was the very one
|
||
|
they could use to seek to misuse his federal authority to falsely
|
||
|
jail Skolnick, to stop plaintiff Skolnick from investigating,
|
||
|
with plaintiff Andreuccetti, and by terror to block Skolnick's
|
||
|
said TV program referred to by defendant Hillary Rodham Clinton,
|
||
|
the hereinbefore described scheme. On or about December, 1994,
|
||
|
Judge Schwartz addressed all the lawyers and other persons then
|
||
|
and there in his court, as follows:
|
||
|
|
||
|
"That man in the wheelchair, Sherman Skolnick. I don't want to
|
||
|
find out that any of you watch or pay any attention to his
|
||
|
television show." Which was meant as a warning to lawyers and
|
||
|
other persons that come into the courthouse, that something bad
|
||
|
will happen to them if they dared to watch Skolnick's Monday
|
||
|
evening program "Broadsides" on public access Cable TV in Chicago
|
||
|
and some suburbs.
|
||
|
|
||
|
17. That shortly after the matters with defendant Gierum, as in
|
||
|
paragraphs 12 through 12(c) inclusive, preceding, plaintiff
|
||
|
Skolnick discussed the Gierum matter on Skolnick's recorded phone
|
||
|
commentary and on Skolnick's public access Cable TV Show. Also,
|
||
|
plaintiff Skolnick assisted with a story about what Gierum said
|
||
|
in a one million circulation newspaper in Germany.
|
||
|
|
||
|
18. Whereupon, defendant Hillary Rodham Clinton, under the
|
||
|
pretense of federal authority but without actual authority to do
|
||
|
so, put plaintiffs Skolnick and Andreuccetti on a so-called
|
||
|
"enemies list", to be targeted by the Internal Revenue Service,
|
||
|
the Federal Bureau of Investigation, and other state and federal
|
||
|
agencies, without any basis in law or in fact to warrant or
|
||
|
authorize said plaintiffs to be so targeted.
|
||
|
|
||
|
19. Up to about October, 1994, defendant Amy Zisook was a
|
||
|
consultant in the White House to defendant Hillary Rodham Clinton
|
||
|
and to her husband, the President; and acting in an advisory and
|
||
|
other capacities for and on behalf of Household Bank and
|
||
|
Household International in respect to the Gierum matter, as in
|
||
|
paragraphs 12 through 12 (c) inclusive, preceding, and in
|
||
|
furtherance of the scheme as hereinbefore described.
|
||
|
|
||
|
20. On or about July, 1994, defendant Mark Zisook in furtherance
|
||
|
of the matter in paragraph 19 preceding, and in furtherance of
|
||
|
having plaintiffs on the said "enemies list"; and in furtherance
|
||
|
of the scheme hereinbefore described; that defendant Mark Zisook,
|
||
|
under the cover of being a purported insurance salesman, obtained
|
||
|
entrance into the private residence in Bensenville, Illinois, a
|
||
|
Chicago suburb, of plaintiff Andreuccetti and his wife Noemi.
|
||
|
Under the pretense of purporting to seek to sell plaintiff
|
||
|
insurance, defendant Mark Zisook proceeded to grill plaintiff
|
||
|
Andreuccetti and his wife, as to their business, as to their
|
||
|
family, as to their life style, as to matters that relate to
|
||
|
their politics, and what plaintiff knows about defendant Hillary
|
||
|
Rodham Clinton.
|
||
|
|
||
|
Defendant Mark Zisook, describing to plaintiff, regarding
|
||
|
defendant Amy Zisook, called her "my sister", and said that
|
||
|
shortly "my sister has to leave the White House because it is a
|
||
|
sinking ship", a statement calculated to elicit data from
|
||
|
plaintiff Andreuccetti as to the hereinbefore described unlawful
|
||
|
secret transfer of 50 million dollars implicating Household Bank
|
||
|
and Household International and defendant Hillary Rodham Clinton
|
||
|
and others, as in paragraph 10 through 10(c) inclusive,
|
||
|
preceding; and as to Household, with plaintiff Andreuccetti not
|
||
|
knowing at the time that defendant Mark Zisook's relative,
|
||
|
defendant Amy Zisook, has been in an advisory capacity to
|
||
|
Household and in other capacities with them.
|
||
|
|
||
|
That defendant Mark Zisook found some way to conduct himself and
|
||
|
the conversation, that he stayed many hours at the private
|
||
|
residence of plaintiff Andreuccetti. Said defendant while
|
||
|
purporting to sympathize with the viewpoints of plaintiff as to
|
||
|
defendant Hillary Rodham Clinton; that defendant Mark Zisook
|
||
|
acted that way by way of extracting from plaintiff data having
|
||
|
nothing whatever to do with the selling to plaintiff purported
|
||
|
insurance.
|
||
|
|
||
|
21. That the acts and doings of defendant Amy Zisook, by and
|
||
|
through defendant Mark Zisook, were in furtherance of defendant
|
||
|
Hillary Rodham Clinton having plaintiffs Andreuccetti and
|
||
|
Skolnick on said "enemies list", to target plaintiffs for
|
||
|
espionage and to find some way to coerce them.
|
||
|
|
||
|
22. That a scheme related to that in paragraphs 10 through
|
||
|
10(c) preceding was the following:
|
||
|
|
||
|
(a) that top officials of the Internal Revenue Service in Chicago
|
||
|
set about to steal for their own personal use and benefit,
|
||
|
millions of dollars of properties, called Kingspoint
|
||
|
Condominiums, in Addison, Illinois, a Chicago suburb, rightfully
|
||
|
belonging to plaintiff Andreuccetti;
|
||
|
|
||
|
(b) that said officials had the blessings and connivance of
|
||
|
Robert Cesca, acting inspector general of the U.S. Treasury,
|
||
|
described by law enforcement officers that Cesca is the highest
|
||
|
mafia representative in the U.S. government. That Cesca has
|
||
|
arranged to conceal official documents that incriminate
|
||
|
defendants including Hillary Rodham Clinton and her husband.
|
||
|
|
||
|
(c) that for the purposes of so stealing plaintiff Andreuccetti's
|
||
|
valuable properties, said top IRS officials were in a position to
|
||
|
blackmail Chicago Chief Federal Bankruptcy Judge John D.
|
||
|
Schwartz, in that Schwartz had been a director of First National
|
||
|
Bank of Cicero which through a fraud, pushed plaintiff
|
||
|
Andreuccetti into involuntary bankruptcy; that Schwartz put
|
||
|
himself in charge of all matters purporting to relate to
|
||
|
plaintiff Andreuccetti, including state court litigation over
|
||
|
which Schwartz had no lawful jurisdiction. Further, another
|
||
|
blackmail point against Schwartz was that he apparently had not
|
||
|
filed any proper income tax in thirty years. And still further,
|
||
|
that Schwartz had over 140 million dollars parked offshore in his
|
||
|
name.
|
||
|
|
||
|
(d) Moreover, an additional blackmail point of said top IRS
|
||
|
officials to work a corrupt and malign influence on Judge
|
||
|
Schwartz to their benefit, to the benefit of Household
|
||
|
International and Household Bank, and to the great detriment of
|
||
|
plaintiff Andreuccetti, was that the financial affairs of Judge
|
||
|
Schwartz were interwoven with a strange purported Cadillac
|
||
|
dealer, Emil Denemark, interwoven with Marcinkus, the Vatican
|
||
|
Bank, and First National Bank of Cicero.
|
||
|
|
||
|
(e) That the top IRS officials allowed, permitted, condoned,
|
||
|
approved of, and acquiesced in, that a purported Bankruptcy
|
||
|
Trustee, Jay Steinberg, linked to Household International and
|
||
|
Household Bank, caused to be filed in the name of plaintiff
|
||
|
Joseph Andreuccetti, false and fraudulent income tax forms and
|
||
|
returns, without the knowledge or permission of plaintiff Joseph
|
||
|
Andreuccetti. Among other things, by said false and fraudulent
|
||
|
forms and returns, the top IRS officials, aided by Steinberg,
|
||
|
covered up a 900 hundred thousand dollar to one and one half
|
||
|
million dollar embezzlement to the damage of plaintiff
|
||
|
Andreuccetti.
|
||
|
|
||
|
(f) that said top IRS officials, aided by Robert Cesca, acting
|
||
|
inspector general of the U.S. Treasury, and according to law
|
||
|
enforcement personnel, the highest ranking mafia representative
|
||
|
in the U.S. government, have covered up the theft of plaintiff
|
||
|
Andreuccetti properties for their own personal use and benefit,
|
||
|
by causing the land titles of the same to disappear. That to
|
||
|
cover up the unawful transfer and other related matters, that
|
||
|
tend to incriminate defendant Hillary Rodham Clinton and her
|
||
|
husband, that Cesca and his confederates have concealed documents
|
||
|
relating to Hillary and Bill Clinton and relating to matters
|
||
|
herein of high-level corruption of top officials of IRS in
|
||
|
stealing plaintiff Andreuccetti's valuable property for their own
|
||
|
personal benefit.
|
||
|
|
||
|
23. That in furtherance of the said scheme, and to coerce and
|
||
|
terrorize plaintiff Andreuccetti, defendants Hillary Rodham
|
||
|
Clinton, John E. Gierum, and Gerald H. Parshall, Jr., acting
|
||
|
jointly and severally, and in concert with one another, caused,
|
||
|
approved of, condoned, and acquiesced in the following:
|
||
|
|
||
|
(a) That on May 13, 1996, defendant H.C. Valent came to the
|
||
|
private residence of plaintiff Andreuccetti, in the Chicago
|
||
|
suburb of Bensenville, Illinois, and then and there in a loud,
|
||
|
threatening, and menacing voice, said to plaintiff Andreuccetti's
|
||
|
wife, Noemi, to wit:
|
||
|
|
||
|
"You and your husband are criminals and I am going to confiscate
|
||
|
all your furniture and your clothes, and all these vehicles near
|
||
|
your house" meant by said defendant to cause great stress and
|
||
|
anguish to plaintiff Andreuccetti recuperating from a triple
|
||
|
bypass open heart operation, by so terrorizing plaintiff's wife;
|
||
|
and did so cause plaintiff great terror, stress, and anguish.
|
||
|
|
||
|
That defendant H.C. Valent did these acts and doings under the
|
||
|
sham and pretense of being a purported Revenue Officer of the
|
||
|
Internal Revenue Service, but without actual authority to do so;
|
||
|
but done under the sham and pretense of federal authority and
|
||
|
while defendant Valent in a loud and threatening voice and
|
||
|
menacing gestures repeatedly pushed her purported badge into the
|
||
|
face of plaintiff's wife.
|
||
|
|
||
|
24. That this was caused to be done by defendant Hillary Rodham
|
||
|
Clinton putting plaintiffs on the aforesaid "enemies list"; to
|
||
|
obstruct the due course of justice as to plaintiffs; to coerce
|
||
|
and terrorize plaintiff Andreuccetti with the defendants knowing
|
||
|
that plaintiff Andreuccetti assists plaintiff Skolnick in various
|
||
|
ways as to the aforementioned public access Cable TV Show, such
|
||
|
as plaintiff Andreuccetti transporting the cable tapes, such as
|
||
|
plaintiff Andreuccetti transporting plaintiff Skolnick who is a
|
||
|
paraplegic and needs a wheelchair and special handling to get
|
||
|
around; such as plaintiff Andreuccetti aiding and assisting
|
||
|
Skolnick as a crusader as previously described.
|
||
|
|
||
|
25. That many of the aforementioned acts and doings were caused
|
||
|
because the plaintiffs obtained the following confessions and
|
||
|
admissions:
|
||
|
|
||
|
26. That on September 20, 1994, Plaintiff Sherman H. Skolnick
|
||
|
and plaintiff Joseph Andreuccetti went to the 14th floor of the
|
||
|
Kluczynski Building, headquarters in Chicago of the Internal
|
||
|
Revenue Service, at 230 South Dearborn Street, Chicago, Illinois.
|
||
|
Plaintiffs there went to the Internal Revenue Service, Criminal
|
||
|
Investigation Division. Skolnick said he is a journalist and
|
||
|
wishes to speak with the Chief or acting Chief of C.I.D.
|
||
|
|
||
|
27. A woman came to a door, said she speaks for the Chief, later
|
||
|
identifying herself as Lynette Redmer, and ushered Skolnick and
|
||
|
Andreuccetti to a conference room.
|
||
|
|
||
|
28. Skolnick stated that he is a journalist, gave his card, and
|
||
|
stated he is head of "Hotline News" and participant of a TV Cable
|
||
|
Show, "Broadsides", and founder/chairman, Citizen's Committee to
|
||
|
Clean Up the Courts. He stated he is there with Andreuccetti,
|
||
|
hereinafter "Joe", to report corruption, involving, among other
|
||
|
things, corruption of U.S. Bankruptcy Trustee Jay Steinberg.
|
||
|
|
||
|
29. Skolnick told her that Steinberg, in the name of Joe, has
|
||
|
been preparing, and causing to be prepared, and causing to be
|
||
|
filed, false and fraudulent federal tax forms and returns,
|
||
|
without the knowledge or permission of Joe.
|
||
|
|
||
|
30. That Steinberg has concealed that there was a 900 Thousand
|
||
|
Dollar embezzlement involving Christian Henning, Jr.,
|
||
|
nephew/godson of Bishop Paul Marcinkus, recent head of the
|
||
|
Vatican Bank. That Henning falsely stated that he was a partner
|
||
|
of Joe. That Joe was falsely and fraudulently put into
|
||
|
involuntary bankruptcy in 1984, still pending, by, among other
|
||
|
things, a purported loan to him by First National Bank of Cicero.
|
||
|
That Joe never received said funds which instead were applied by
|
||
|
Henning and others for other purposes. That said Bank has been
|
||
|
dominated by Henning's Uncle, Paul Marcinkus, until recently head
|
||
|
of the mafia-dominated Vatican Bank. That Henning had corrupted
|
||
|
the U.S. Attorney's office in Chicago, including but not limited
|
||
|
to Assistant U.S. Attorney William R. Hogan, Jr., now on
|
||
|
administrative leave because of charges of misconduct. Result:
|
||
|
that Henning escaped adequate punishment.
|
||
|
|
||
|
31. Ms Redmer, by words and statements, showed that she already
|
||
|
knew and knew much about much of the foregoing, and did not
|
||
|
dispute Skolnick's recital of said facts and confirmed that Hogan
|
||
|
took bribes in civil and criminal matters, to protect Household
|
||
|
International, as in the federal prosecution in Chicago, of U.S.
|
||
|
vs. John Best.
|
||
|
|
||
|
32. By words and statements, in discussion with Skolnick, Ms
|
||
|
Redmer confirmed that her agency was having difficulty in an
|
||
|
apparent tax evasion case being put together against Hogan. She
|
||
|
confirmed that the difficulty was that Hogan was making charges,
|
||
|
by way of rebuttal and blackmail, that upwards of six federal
|
||
|
judges in Chicago were corrupt and took bribes, including but not
|
||
|
limited to Judge James F. Holderman, Judge Marvin E. Aspen,
|
||
|
Suzanne B. Conlon, and Chief Bankruptcy Judge John D. Schwartz.
|
||
|
|
||
|
33. That Ms Redmer was already fully aware of circumstances and
|
||
|
details regarding Joe having been the owner of Kingspoint
|
||
|
Condominiums, in Addision, Illinois. She was aware and confirmed
|
||
|
that Robert Belavia together with Wallace Lieberman had stolen
|
||
|
said property; that Lieberman on other occasions was a U.S.
|
||
|
Bankruptcy auctioneer, that Belavia is a long-known mobster
|
||
|
previously having apparent government immunity.
|
||
|
|
||
|
34. She was aware that FBI agent Mike "Chuckie" Peters, who she
|
||
|
knows, has been accused of murdering or arranging the murder of
|
||
|
Lieberman near the First National Bank of Cicero, just before
|
||
|
Christmas, 1991.
|
||
|
|
||
|
35. She stated she worked on the Belavia case, and that higher
|
||
|
ups, in her agency, who she understood to be corrupt, were
|
||
|
anxious to have Belavia prosecuted on some offense, to get him
|
||
|
out of the way.
|
||
|
|
||
|
36. By words and statements, she confirmed that top officials of
|
||
|
her agency, on the next higher level, have corruptly taken as
|
||
|
their own personal property, the said Kingspoint Condominiums
|
||
|
properties; and confirmed that this was aided and abetted by
|
||
|
Edward J. Lesniak, Household International, First National Bank
|
||
|
of Cicero, among others.
|
||
|
|
||
|
37. By words and statements she confirmed that said corrupt
|
||
|
doings by the higher-ups in her agency, were accomplished by
|
||
|
having the land titles and related records as to Kingspoint, to
|
||
|
disappear, to be unavailable by alleged computer so-called
|
||
|
"glitches", and other devices of concealment of ownership.
|
||
|
|
||
|
38. By words and statements, she confirmed that she recognized
|
||
|
that Chief Bankruptcy Judge in Chicago John D. Schwartz in Joe's
|
||
|
long-standing case, was highly corrupt. She did not deny or
|
||
|
dispute that Judge Schwartz has a net worth of 140 million
|
||
|
dollars and has not filed a proper federal tax return in thirty
|
||
|
years. She cautioned Skolnick that it was improper for him, "to
|
||
|
have those records", of her agency.
|
||
|
|
||
|
39. She confirmed that she was aware of the facts of corruption
|
||
|
at the highest level in the IRS in Chicago, as detailed about
|
||
|
Chicago and Los Angeles in a Congressional Report in 1990 by
|
||
|
Cong. Doug Barnard. She said, "Let's deal with Chicago -- don't
|
||
|
tell me about L.A."
|
||
|
|
||
|
40. She confirmed that she was aware that the higher ups in her
|
||
|
agency were secret and silent partners in at least two
|
||
|
mafia-owned vending companies in Chicago Heights. That said
|
||
|
corrupt IRS officials were aiding the mafia people to elude and
|
||
|
escape IRS problems.
|
||
|
|
||
|
41. She confirmed that her higher ups, who she knew and
|
||
|
understood to be corrupt, were allowing, permitting, and
|
||
|
condoning, various corrupt Bankruptcy Trustees, not just Jay
|
||
|
Steinberg in Joe's matter, to file false and fraudulent federal
|
||
|
tax returns and details; by way of concealing the plundering of
|
||
|
bankrupt estates and money laundering the proceeds, or even
|
||
|
putting persons and firms not actually bankrupt into the
|
||
|
bankruptcy court to be plundered.
|
||
|
|
||
|
42. She then and there said, "What is the point of you and me
|
||
|
talking about all this when those higher up than me in IRS are
|
||
|
corrupt? What's the point of me even making a report?" Skolnick
|
||
|
answered that his contacts in the building will watch to see how
|
||
|
the higher ups in her building are going to try to cover up my
|
||
|
complaint. She said, to Skolnick, "Do you have contacts in
|
||
|
C.I.D.?" He said, "You can presume that."
|
||
|
|
||
|
43. She used words and statements to show she had inside
|
||
|
knowledge of Joe's problem. She referred to a 54 or more million
|
||
|
dollar fund parked by Resolution Trust Corporation with Household
|
||
|
International, part of the details of Joe's various pieces of
|
||
|
litigation. Turning to Joe, she said, "Well , your claim against
|
||
|
the fund is mostly 32 million dollars punitive damage claim from
|
||
|
your DuPage matter", which Joe disputes. She said, "The transfer
|
||
|
(secretly ) of 50 million dollars to Little Rock, that was
|
||
|
Whitewater, right?" Skolnick confirmed that is correct. "They
|
||
|
only needed 47 (million) down there, what happened to the 3
|
||
|
million difference?" Confirming that she knew from inside
|
||
|
details that the President and First Lady are accused by some in
|
||
|
R.T.C. of being implicated in the embezzlement of 47 million
|
||
|
dollars missing from Madison Guaranty Savings & Loan of Little
|
||
|
Rock. "Do you know exactly where in a secret trust they have the
|
||
|
50 million in Little Rock?" she said to Skolnick who said, "The 3
|
||
|
milllion difference is for so-called 'transportation' expense,
|
||
|
that is, street tax." She was aware that John E. Gierum was
|
||
|
implicated in said transfer and was a close crony of the First
|
||
|
Lady Hillary Rodham Clinton.
|
||
|
|
||
|
44. She discussed with Skolnick and Joe, a firm known as
|
||
|
Glenrock Co., secretly owned by Chicago Mayor Richie Daley and
|
||
|
his business crony Jeremiah Joyce. Skolnick said to her, "I
|
||
|
notice you are not writing down anything about Glenrock." She
|
||
|
answered, "That's the Rostenkowski matter -- I can't go into
|
||
|
that."
|
||
|
|
||
|
45. She confirmed that she knew and was aware that Glenrock, a
|
||
|
multimillion dollar operation in Northlake, Illinois, Brookfield,
|
||
|
Wisconsin, and Indianapolis, Indiana, did not keep proper records
|
||
|
for IRS and did not pay their proper income tax, and confirming
|
||
|
that the corruption was "wired all the way to the (IRS)
|
||
|
Commissioner" in Washington, D.C.
|
||
|
|
||
|
46. That after a discussion between Skolnick, Joseph
|
||
|
Andreuccetti, and the said Lynette Redmer, speaking as she said
|
||
|
for the Chief of C.I.D., for some hour and a half, she stood up.
|
||
|
As she did, Skolnick said to her, "Tell me straight in front, is
|
||
|
everything said by the three of us the truth -- you, me , and
|
||
|
Joe? Do you already know it to be the truth?" Whereupon, she
|
||
|
answered, "It is the truth, everything said in this room is the
|
||
|
truth", and she ushered Sherman H. Skolnick and Joseph
|
||
|
Andreuccetti out of the room and toward the elevator.
|
||
|
|
||
|
47. That the scheme, as in pararaphs 10 through 10(c),
|
||
|
preceding, for the unlawful transfer of 50 million dollars
|
||
|
portion of 58.4 million dollars of funds of the Federal Home Loan
|
||
|
Bank, parked with Household Bank and Household International in
|
||
|
the Chicago area, and supposed to be held to make good the claims
|
||
|
of plaintiff Andreuccetti; said transfer was in three legs or
|
||
|
three steps, including but not limited to, as follows:
|
||
|
|
||
|
(a) from the Chicago area, to Little Rock, Arkansas;
|
||
|
|
||
|
(b) from Arkansas, disguised as purported funds of Arkansas
|
||
|
Development Finance Authority, wired by way of Fuji Bank to the
|
||
|
Cayman Islands;
|
||
|
|
||
|
(c) and from there disguised as funds relating to purported
|
||
|
insurance transactions, sent or wired to secret coded accounts in
|
||
|
Switzerland, for the benefit of defendant Hillary Rodham Clinton
|
||
|
under the code "Chelsea Jefferson".
|
||
|
|
||
|
48. Referring to the second leg or second step of the same, are
|
||
|
the remarks of Congressman Dan Burton (R., Indiana), on May 29,
|
||
|
1996:
|
||
|
|
||
|
"ADFA [Arkansas Development Finance Authority] was created by
|
||
|
Governor Clinton in 1985 to provide economic development loans in
|
||
|
Arkansas. In December of 1988, ADFA deposited $50 million in a
|
||
|
Japanese bank in the Cayman Islands. I have a copy of the
|
||
|
contract that I will enter into the record. I have also
|
||
|
delivered a copy of this document to the Independent Counsel's
|
||
|
office. Why would an economic development agency in Arkansas
|
||
|
deposit $50 million in a bank in the Cayman Islands? The Cayman
|
||
|
Islands are a well-known center of money laundering for drug
|
||
|
dealers. The State Department's international narcotics control
|
||
|
report described the Caymans as 'a haven for money laundering'".
|
||
|
|
||
|
And also: "One of the questions that I think is very, very
|
||
|
important is why did the Arkansas Development Financial Authority
|
||
|
send $50 million of Arkansas money to the Cayman Islands to
|
||
|
deposit in a bank in the Cayman Islands, which is a major drug
|
||
|
transit point acknowledged by almost every DEA agent in the
|
||
|
world?" And also: "I have the electronic bank transfer
|
||
|
statements in my office. I am going to put them in the
|
||
|
Congressional Record. There is no doubt the money was wired to
|
||
|
the Cayman Islands. The question needs to be asked, why was it
|
||
|
wired? Why would the Governor of Arkansas allow that?"
|
||
|
Congressional Record, 5/29/96, H5627-28.
|
||
|
|
||
|
49. Like the plaintiffs in the instant case, Cong. Burton
|
||
|
apparently is also on some "enemies list" of defendant Hillary
|
||
|
Rodham Clinton. As a consequence the Congressman apparently has
|
||
|
been coerced into not following through on his promise to put the
|
||
|
documents into the congressional Record and a promise he made,
|
||
|
"Tomorrow night, since I am out of time now, Mr. Speaker, I will
|
||
|
go into more detail on the $50 million that was Arkansas money
|
||
|
that was transferred to the Cayman Islands, a major transit point
|
||
|
for drug trafficking in this hemisphere."
|
||
|
|
||
|
50. The aforementioned unlawful transfer of the said 50 million
|
||
|
dollars was for the benefit of defendant Hillary Rodham Clinton
|
||
|
and to the great damage and detriment of plaintiff Andreuccetti.
|
||
|
|
||
|
51. On June 13, 1996, plaintiffs Skolnick and Andreuccetti met
|
||
|
with defendant Robert Alexovich who alleges he is a "revenue
|
||
|
officer, Internal Revenue Service". Related to said defendant
|
||
|
were the details as in paragraph herein preceding 23(a), adopted
|
||
|
here by reference as if verbatim here set forth. Defendant
|
||
|
Alexovich said it was unlawful for defendant H.C. Valent to do
|
||
|
such acts and doings, but defendant Alexovich said to plaintiffs,
|
||
|
"That did not happen". Yet, defendant Alexovich has no personal
|
||
|
knowledge of said event and could not know whether it did or did
|
||
|
not happen.
|
||
|
|
||
|
52. Defendant Alexovich told plaintiffs that he did not know of
|
||
|
the matters as in preceding paragraphs herein 10 (a) through (c)
|
||
|
inclusive, 22 through 22(f) inclusive, 25 through 46 inclusive,
|
||
|
all adopted herein by reference as if verbatim here set forth.
|
||
|
Yet, prior to said meeting on June 13, 1996, defendant Alexovich
|
||
|
had in his custody and possession documents, papers, and records
|
||
|
by plaintiffs as to said matters. In his statements defendant
|
||
|
made false declarations, knowingly so, in furtherance of the
|
||
|
schemes as hereinbefore set forth.
|
||
|
|
||
|
53. After the said June 13, 1996, defendant Alexovich supplied
|
||
|
to plaintiff Andreuccetti false and misleading data calculated to
|
||
|
aid and abet the higher ups at the Internal Revenue Service in
|
||
|
having stolen, for their own personal use and benefit, the
|
||
|
valuable properties of plaintiff Andreuccetti.
|
||
|
|
||
|
(a) that in response to plaintiff Andreuccetti's complaint that
|
||
|
Bankruptcy Trustee Jay Steinberg filed false and fraudulent forms
|
||
|
and returns in the name of plaintiff Joseph Andreuccetti,
|
||
|
defendant Alexovich sent plaintiff a note stating, "here are some
|
||
|
of the records of filing you requested re: the billing statement
|
||
|
you submitted," with various sheets showing only zeroes and
|
||
|
containing the statement "return not present for this account";
|
||
|
thus evading records, known to said defendant, of an embezzlement
|
||
|
of between 900 thousand dollars and one and a half million
|
||
|
dollars which damaged plaintiff, as known to said defendant, and
|
||
|
should have been therein shown.
|
||
|
|
||
|
(b) that in so doing, by all his acts and doings, defendant
|
||
|
Alexovich sought to unlawfully cover up that a form 211 by
|
||
|
plaintiff Andreuccetti was falsely rejected, with the statements:
|
||
|
"William & Hillary Clinton et al." and "(1) recovery was too
|
||
|
small to warrant payment of reward. (2) Information was
|
||
|
previously known to the Service or available in public records
|
||
|
readily accessible to the Service. (3) Information furnished did
|
||
|
not cause investigation."
|
||
|
|
||
|
A copy of said alleged response to plaintiff's form 211 is
|
||
|
attached hereto and made a part hereof; and a copy attached and
|
||
|
made a part hereof of said form 211, being an Application for
|
||
|
Reward for Original Information.
|
||
|
|
||
|
54. That defendant Robert Alexovich did these acts and doings
|
||
|
under the sham and pretense of being a purported and alleged
|
||
|
Revenue Officer of the Internal Revenue Service, but without
|
||
|
actual authority to commit, condone, cause to be done, and
|
||
|
acquiesce in, said acts and doings; but done under the sham and
|
||
|
pretense of federal authority, in furtherance of the schemes
|
||
|
hereinbefore set forth. That defendants Alexovich and Valent
|
||
|
have filed and caused to be filed, false papers and documents
|
||
|
calling for the seizure of property of plaintiff Andreuccetti.
|
||
|
|
||
|
55. That acts and doings were done, caused to be committed,
|
||
|
allowed, permitted, and condoned, and acquiesced in, by ten
|
||
|
defendants being John Does and Jane Roes whose identity is not
|
||
|
now know to the plaintiffs all in furtherance of the schemes and
|
||
|
acts and doings hereinbefore set forth.
|
||
|
|
||
|
56. That defendants, each of them, individually, severally,
|
||
|
jointly, and in concert, and aiding and abetting one another,
|
||
|
have by their foregoing acts and doings against plaintiffs, have
|
||
|
deprived plaintiffs Skolnick and Andreuccetti of federal
|
||
|
constitutionally protected rights, privileges, and immunities,
|
||
|
including but not limited to the following:
|
||
|
|
||
|
(a) Under the First Amendment, the right of plaintiffs to gather
|
||
|
news and inquire into wrongdoing by defendants and persons acting
|
||
|
with them, including persons and officials in high position and
|
||
|
places; with the right of plaintiffs not to be damaged in their
|
||
|
persons and properties while so doing, by the acts and doings
|
||
|
unlawfully done by defendants.
|
||
|
|
||
|
(b) Violation of plaintiffs' rights under the First Amendment in
|
||
|
that "Congress shall make no law respecting...the right of the
|
||
|
people...to petition the Government for a redress of grievances".
|
||
|
As hereinbefore set forth, the defendants have obstructed the due
|
||
|
course of Justice, unlawfully damaging plaintiffs in their
|
||
|
persons and properties, while plaintiffs are involved in
|
||
|
petitioning the Government for a redress of grievances.
|
||
|
|
||
|
(c) Under the Fourth Amendment, "The right of the people to be
|
||
|
secure in their persons, houses, papers, and effects, against
|
||
|
unreasonable searches and seizures, shall not be violated..."
|
||
|
The right of plaintiffs not to be spied on including the right
|
||
|
not to be spied on inside their private residences by persons
|
||
|
acting for others in high places, like for defendant Hillary
|
||
|
Rodham Clinton; done under the sham and pretense of authority but
|
||
|
without actual authority to do the acts and doings hereinbefore
|
||
|
complained of.
|
||
|
|
||
|
(d) Violating the Fifth Amendment, the defendants have interfered
|
||
|
with the liberty of plaintiffs and deprived plaintiffs of
|
||
|
property without due process of law.
|
||
|
|
||
|
(e) The acts and doings of defendants violate plaintiffs' rights
|
||
|
under the U.S . Constitution, Article I, section 9, clause 3,
|
||
|
"No Bill of Attainder or ex post facto Law shall be passed".
|
||
|
Defendants have caused plaintiffs to be designated as
|
||
|
"criminals", to be threatened in their liberty, persons, and
|
||
|
properties, as "enemies of the state" and put on defendants'
|
||
|
"enemies list".
|
||
|
|
||
|
57. That plaintiffs Skolnick and Andreuccetti have been damaged
|
||
|
in the amount of One Hundred Million Dollars.
|
||
|
|
||
|
58. Wherefore, plaintiffs Sherman H. Skolnick and Joseph
|
||
|
Andreuccetti ask damages against the hereinbefore named
|
||
|
defendants, and each of them, of One Hundred Million Dollars and
|
||
|
costs and fees as provided by law, and such other and further
|
||
|
relief as plaintiffs may be entitled to under the circumstances.
|
||
|
|
||
|
COUNT TWO.
|
||
|
----------
|
||
|
|
||
|
Plaintiffs Skolnick and Andreuccetti complain against the
|
||
|
defendants as all named in Count One, and allege as follows:
|
||
|
|
||
|
1-55 inclusive as in Count One, adopted herein by reference as if
|
||
|
verbatim here in set forth.
|
||
|
|
||
|
56. That defendants, each of them, individually, jointly, and
|
||
|
severally, and in concert, have caused and are causing the
|
||
|
circulation of data contending that plaintiffs are as follows:
|
||
|
|
||
|
(a) that plaintiffs Skolnick and Andreuccetti are members of or
|
||
|
supporters of Posse Comitatus and are in the category of what is
|
||
|
known as "domestic terrorists"; and as such, that these
|
||
|
plaintiffs are dedicated to and actually do, damage and injure
|
||
|
public officials in their person and property;
|
||
|
|
||
|
(b) that plaintiffs Skolnick and Andreuccetti use, cause to be
|
||
|
used, instigate or foment the use of, Federal Land Patent
|
||
|
procedures to damage and injure public officials in their person
|
||
|
and property.
|
||
|
|
||
|
(c) that plaintiffs are so-called "illegal tax protectors" and/or
|
||
|
foment said movement; that said plaintiffs actively engage in the
|
||
|
same or make a business of taking cash and other valuable goods
|
||
|
and services, for plaintiffs' personal use, from members of said
|
||
|
movement;
|
||
|
|
||
|
(d) that plaintiffs make and engage in a business and enterprise
|
||
|
of arranging, fomenting, instigating and/or persuading other
|
||
|
persons to form offshore trusts, for the purpose and apparent
|
||
|
purpose of aiding and abetting persons to evade and circumvent
|
||
|
the Laws of the United States;
|
||
|
|
||
|
(e) that plaintiffs are so-called "gun nuts and are trigger-happy
|
||
|
persons, dangerous to the public welfare and actively aid and
|
||
|
abet others as such, to the detriment of public officials, public
|
||
|
welfare, domestic tranquilty, and national security; that these
|
||
|
plaintiffs seek to do physical violence against the persons and
|
||
|
properties of public officials;
|
||
|
|
||
|
(f) that plaintiffs bring lawsuits and administrative procedures
|
||
|
to use the pendency of such, often belabored and purposely
|
||
|
delayed, often long pendency of such, to carry out a secret
|
||
|
agenda of blackmail directed against public officials and others;
|
||
|
and to deter public officials from proceeding to prosecute
|
||
|
plaintiffs for supposed crimes;
|
||
|
|
||
|
57. That defendants rely on such data as being true when, in
|
||
|
fact, such data are completely false and have never been done or
|
||
|
committed by plaintiffs. Defendants circulate such data knowing
|
||
|
full well it is false.
|
||
|
|
||
|
58. That defendants cause a secret code to be attached to state
|
||
|
and federal records labeling, identifying, and targetting
|
||
|
plaintiffs and each of them, as in such data.
|
||
|
|
||
|
59. That defendants circulate such data in private, ex parte,
|
||
|
and in secret, to public officials that in any way have cases and
|
||
|
procedures effecting plaintiffs, so that there is an obstruction
|
||
|
justice, damaging plaintiffs. A few of the many examples:
|
||
|
|
||
|
(a) such data was circulated to Chicago Federal District Judge
|
||
|
George W. Lindberg, who had pending a case by plaintiff
|
||
|
Andreuccetti seeking a remedy for fraudulently begotten
|
||
|
judgments, corruptly obtained by opponents of said plaintiff
|
||
|
corrupting John D. Schwartz. Based on such false data, Judge
|
||
|
Lindberg identified plaintiff Andreuccetti as "Posse Comitatus",
|
||
|
denied him all relief as an "enemy of the state" and called
|
||
|
plaintiff Andreuccetti's associate, plaintiff Skolnick, "a liar",
|
||
|
even though Skolnick was neither a party to the litigation nor a
|
||
|
sworn witness. Based on this, the way was opened to falsely
|
||
|
seize, in November, 1993, plaintiff Andreuccetti's residence,
|
||
|
without a valid writ, and to seize and steal Cable TV tapes known
|
||
|
to be at said plaintiff's residence since he transports the same
|
||
|
for the said show; and seizing and stealing all his books,
|
||
|
papers, court records, financial records, and such, and carrying
|
||
|
them away in a private vehicle under the sham and pretense of
|
||
|
deputy sheriffs; said items have never been returned to said
|
||
|
plaintiff.
|
||
|
|
||
|
(b) Based on this, federal law enforcement personnel follow
|
||
|
plaintiff Skolnick around the Dirksen Building, site of the
|
||
|
federal courts, as an alleged "domestic terrorist", interfering
|
||
|
with Skolnick gathering news as an electronic journalist and
|
||
|
moderator of "Broadsides" said public access Cable TV program;
|
||
|
and interfering with Skolnick attending open court sessions as a
|
||
|
spectator and journalist.
|
||
|
|
||
|
Plaintiffs ask the Court not to have to list here all the other
|
||
|
examples known by plaintiffs, but if requested by the Court to do
|
||
|
so, plaintiffs will give a more comprehensive list.
|
||
|
|
||
|
60. Re-alleged from Count One, as if verbatim here set forth,
|
||
|
paragraphs 56, 56(a), 56(b), 56 (c), 56(d), and 56(e).
|
||
|
|
||
|
61. Realleged from Count One, as though verbatim here set forth
|
||
|
paragraphs 57 and 58.
|
||
|
|
||
|
Count Three.
|
||
|
------------
|
||
|
|
||
|
Plaintiffs Skolnick and Andreuccetti complain against the
|
||
|
defendants as all named in Count One, and allege as follows:
|
||
|
|
||
|
1-55 inclusive as in Count One, adopted by reference as if
|
||
|
verbatim here set forth.
|
||
|
|
||
|
56. Re-alleged from Count Two, adopted by reference as if
|
||
|
verbatim here set forth, paragraphs 56 through 60 inclusive. As
|
||
|
to Bill of Attainder, re-allege from Count One, paragraph 56(e).
|
||
|
|
||
|
57. Re-alleged from Count One, adopted by reference as if
|
||
|
verbatim here set forth paragraphs 57 and 58.
|
||
|
|
||
|
[signed] [signed]
|
||
|
Joseph Andreuccetti Sherman H. Skolnick
|
||
|
990 County Line Road 9800 So. Oglesby Ave.
|
||
|
Bensenville IL 60106 Chicago IL 606174870
|
||
|
(708) 860-9930 (312) 375-5741
|
||
|
Plaintiff, Pro Se Plaintiff, Pro Se
|
||
|
|
||
|
VERIFICATION OF COMPLAINT.
|
||
|
--------------------------
|
||
|
The undersigned under the penalties for perjury and provisions of
|
||
|
28 U.S.C.A. $ 1746, certify that the matters stated in the
|
||
|
foregoing Verified Complaint, Counts One, Two, and Three, are
|
||
|
true and correct to their personal knowledge, or are matters of
|
||
|
record or of law, and in either case, are true. Executed on July
|
||
|
18, 1996.
|
||
|
|
||
|
[signed] [signed]
|
||
|
Joseph Andreuccetti. Sherman H. Skolnick.
|
||
|
|
||
|
-----------------------------------------------------------------
|
||
|
Views expressed do not necessarily reflect those
|
||
|
of Conspiracy Nation, nor of its Editor in Chief.
|
||
|
-----------------------------------------------------------------
|
||
|
I encourage distribution of "Conspiracy Nation."
|
||
|
-----------------------------------------------------------------
|
||
|
If you would like "Conspiracy Nation" sent to your e-mail
|
||
|
address, send a message in the form "subscribe cn-l My Name" to
|
||
|
listproc@cornell.edu (Note: that is "CN-L" *not* "CN-1")
|
||
|
-----------------------------------------------------------------
|
||
|
For information on how to receive the improved Conspiracy
|
||
|
Nation Newsletter, send an e-mail message to bigred@shout.net
|
||
|
-----------------------------------------------------------------
|
||
|
Want to know more about Whitewater, Oklahoma City bombing, etc?
|
||
|
(1) telnet prairienet.org (2) logon as "visitor" (3) go citcom
|
||
|
-----------------------------------------------------------------
|
||
|
See also: http://www.europa.com/~johnlf/cn.html
|
||
|
-----------------------------------------------------------------
|
||
|
See also: ftp.shout.net pub/users/bigred
|
||
|
-----------------------------------------------------------------
|
||
|
Aperi os tuum muto, et causis omnium filiorum qui pertranseunt.
|
||
|
Aperi os tuum, decerne quod justum est, et judica inopem et
|
||
|
pauperem. -- Liber Proverbiorum XXXI: 8-9
|
||
|
|