Affidavit of Audrey Y. GIBO: I am over the age of 18 years. I have personal knowledge of the facts stated herein. I am employed with the Office of Health Status Monitoring with a "Secretary III" status.
Affidavit of Audrey Y. GIBO: I am over the age of 18 years. I have personal knowledge of the facts stated herein. I am employed with the Office of Health Status Monitoring with a "Secretary III" status.
Affidavit of Audrey Y. GIBO: I am over the age of 18 years. I have personal knowledge of the facts stated herein. I am employed with the Office of Health Status Monitoring with a "Secretary III" status.
Case 3:12-cv-00280-HTW-LRA Document 57-3 Filed 10/26/12 Page 1 of 2
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF MISSISSIPPI JACKSON DIVISION DR. ORL Y TAITZ, ESQ., ET AL. PLAINTIFFS v. CIVIL ACTION NO. 3:12cv280-HTW-LRA DEMOCRAT PARTY OF MISSISSIPPI, ET AL. DEFENDANTS AFFIDAVIT OF AUDREY Y. GIBO I, AUDREY Y. GIBO, declare as follows: 1. I am over the age of 18 years. I have personal knowledge of the facts stated herein, except those stated on information and belief, and, if called upon, could and would testify competently to them. 2. I am informed that on or about April 19, 2012, a First Amended Complaint was filed in this action by plaintiffs Orly Taitz, Brian Fedorka, Leah Lax, Laurie Roth, and Tom MacLeran. 3. I am employed with the Office of Health Status Monitoring with a "Secretary III" status. In addition to assisting the Office of Health Status Monitoring with records requests, I answer the telephone and perform other general duties in and around the office. I am not currently, nor have I ever been authorized by appointment or by law to accept process on behalf ofthe Office of Health Status Monitoring, Dr. Alvin Onaka, or Loretta Fuddy. 4. On October 8, 2012, a security guard at the Department of Health contacted me regarding a person in the lobby asking about verifications. Upon my arrival to the lobby, the gentleman I now understand to be Lawrence B. Fenton asked me if I knew who Orly Taitz was. I responded in the affirmative and he removed two (2) sets of documents, placed them on the counter and left the building. Upon my later examination of the documents, I learned that they F r i e n d s
o f
T h e F o g b o w . c o m Case 3:12-cv-00280-HTW-LRA Document 57-3 Filed 10/26/12 Page 2 of 2 were in fact Complaints against Dr. Alvin Onaka and Loretta Fuddy with the above styled cause number and heading. I declare under penalty of perjury under the laws of the State of Hawaii that the foregoing is true and correct. Executed on Our, 25 , 2012 in Honolulu, Hawaii. Audrey Y. Gi1:5o SWORN TO AND SUBSCRIBED BEFORE ME, this the 25th day of October
N TARY BLIC L. Santana My Commission Expires: July 18, 2014 L.S. Georgiana L. Santana, First Circuit Doc Date: 1 0 I 2 5 I 12 #Pages: _2 __ Doc. Description: Affidav:rt 1\- lh<;t?tf;zJ 1 o /25 I 12 tary s ature Date NOTARY CERTIFICATION 2 '2012. F r i e n d s