Welcome to Scribd, the world's digital library. Read, publish, and share books and documents. See more
Download
Standard view
Full view
of .
Look up keyword
Like this
22Activity
0 of .
Results for:
No results containing your search query
P. 1
MS ECF 87 2012-12-14 - TvDPM - Notice of Default With Exhibits

MS ECF 87 2012-12-14 - TvDPM - Notice of Default With Exhibits

Ratings: (0)|Views: 168 |Likes:
Published by Jack Ryan

More info:

Published by: Jack Ryan on Dec 15, 2012
Copyright:Attribution Non-commercial

Availability:

Read on Scribd mobile: iPhone, iPad and Android.
download as PDF, TXT or read online from Scribd
See more
See less

12/24/2012

pdf

text

original

 
Case 3:12-cv-00280-HTW-LRA Document 87 Filed 12/14/12 Page 1 of 3
SOUTHERN DISTRICT OF
MI
SSISSIPPI
FILED
Dr. O
rl
y
Ta
itz,
ESQ
DEC
14 2
012
29839 Santa Margarita,ste1 00
J.
T.
NOBLIN.CLERK
BY
DEPUTY
Rancho Santa Margarita, Ca 92688 949-683-5411, fax 949-766-7603
or]
y.
aitz@gma
jJ
.comP
RO
SE PLAINTIFF
IN
MS
IN
THE
US
DISTRICT COURTSOUTHERN DISTRICT OF MISSISSIPPIDr. O
rl
y Taitz,ESQ
et
al)
CA
SE
12
-CV-280
v
Democratic Party
of
Mississippi et
al
)
HON
.HENRYWINGATE ) PRESIDING
NOTICE
OF
DEFAUlT
BY
DEFENDANTMICHAEl
ASTRUE
,
COMMISSIONER
OF
SOCIAl
SECURITY
MOTION
FOR
DEFAUlT
JUDGMENT
AND
POST
DEFAUlT
DISCOVERY
1.
DefendantMichel
As
tru
e,
commissioner
of
Social Security,was servedon October 92012,by prof
ess
io
na
l
pr
ocess
se
rvi
ce
th
rough
the
off
i
ce
of
theU
.S.
Atto
rneyinWashington
DC.
He
wasserved
together
with
President Obama andCongresswoman Pelosi. Service
of
process
is
available onthedocket.
2.
During10.16.2012hearing
Sco
tt
J.Tepper representingObama,
Pe
los
i,
"Obama
for
Ameri
ca
"andDemocratic
pa
rt
y
of
Mississippi (Hereinafter DPM) statedon
the
record
that
Astrue wasserved, but did notrespond
wit
hin
21
d
ays
as
ot
her
s,
as
he wassued
as
a federalemployee,thereforehe
has
60d
ays
to
respondsince
the
da
te
of
service.
3.
60d
ays
expired on
Dece
m
be
r8, 201
2.4.
Astrue didn
ot
file
an
answer
or
any responsive pleadi
ngs
and
is
currentlyin default.5.
Pla
i
ntiff
Taitz is seeking a Default
Ju
dgmentagainstdefendantMichel Astrue, fees andcosts. 6.Taitz
is
askingthis cou
rt
to
grant her
mo
tion
to
compel records
as
part
of
the
postDefault discovery,specifically she
is
seeking a
Mo
tion
to
Compel production
of
the
SS-5,
SocialSecurityapplication to
Co
nnecti
cu
tSocial Securi
ty
numberxxx-xx-4425,(unredactedversion
of
this
 
Case 3:12-cv-00280-HTW-LRA Document 87 Filed 12/14/12 Page 2 of 3
motion
with
the
full Social Security number
is
provided
to
th
e courtunderseal)whichwasused by Barack Obama inhis taxreturnsfiled on WhiteHouse.gov,which was
not
assigned
to
himaccording
to
E-Verify and
SSNV
7.
/sf
DR
.Orly Taitz,
ESQ
BRIEF
IN
SUPPORT
OF
DEFAUlT
JUDGMENT
AND
MOTION
TO COMPEL
PRODUCTION
OF
DOCUMENTS
AS PART
OF
POSTJUDGMENT
DISCOVERY
1.
Defendant Michel Astrue, commissioner
of
Social Security,wasserved onOctober 92012,by professional processservicethrough
the
office
of
the
U.S.
Attorney/Department
of
Justice inWashington
DC.
Hewas served together
with
President Obamaand Congresswoman Pelosi.Service
of
process
is
available on
the
docket.2.During 10.16.2012hearing Scott
J.
Tepper representing
other
defendants: Obama, Pelosi,"Obama
fo
rAmerica" and Democraticparty
of
Mississippi(HereinafterDPM}stated on
the
record
that
Astrue was served,
but
did
not
respond
within
21 days
as
others,
as
he was sued
as
afederalemployee,
th
ereforehe
has
60days
to
respondsince
the
date
of
service.3.
60
days expired
on
December
8,
2012.
4.
Astruedid not filean answer
or
anyresponsive pleadingsand
is
currently in default.5. Plaintiff Taitz
is
seekingaDefault Judgmentagainst defendant MichelAstrue, feesandcosts.
6.
Taitz
is
asking this
court
to
granther motion
to
compelrecords
as
part
of
th
epost Defaultdiscovery,specificallyshe
is
seekinga
Motion
to
compel production
of
the
SS
-5,SocialSecurityapplication
to
Connecticut Social Security
number
xxx-xx-4425,which was used by Barack Obamain his2009 tax returns,
but
neverassigned
to
BarackObama according
toe-verify
and
SSNVS.
7.
Affidavit
of
Felicito
Papa
attests
to
the
fact
that
Obamaoriginallydid
not
flattenthe
PDF
file andpublished
the
full
CT
Social security
number
xx-xx-4425he
is
using on
Wh
iteHouse.gov Exhibit
1.
Affidavit
of
Felicito
Papa
8. According
to
E-verifythis
number
wasneverissued
to
BarackObama Exhibit 2
Aff
idavit
of
linda
Jordan andE-Verifycertification 9. According
to
SSNVS
(SocialSecurity Verification Systems) this number was never assigned
to
BarackObamaExhibit 3
SSNVS
certification10. Obama'su
se
of
a stolen Social Security
number
and cover up
of
this fact
is
the
basis
of
the
RICO
conspiracy, whichincludedharassment, intimidation, persecution and financial damages
to
Plaintiff Taitz.11.
Without
amotion
to
compel Taitz would
not
be
able
to
obtain necessaryinformation.Additionally,now
there
is
evidence
of
def
endantsand
their
accomplices spoliating,destroying evidence.Recentlysome
of
the
RICO
co-conspirators
took
down
a website"Fogbow"
wit
haclear
intent to
destroy evidence. Similarly, Affidavits
of
Investigator
Zu
llo(Exhibit 4}and
Expe
rt
Blake (Exhibit 5 ) show a pattern
of
obstruction
of
Justice, evasion
of
law enforcement,tampering
with
evidence.
 
Case 3:12-cv-00280-HTW-LRA Document 87 Filed 12/14/12 Page 3 of 3
12.
Based
on all
of
the above good cause exists
to
grantPlaintiffTaitzDefault Judgment and
grant
her motion
to
compel
produ~ents
in order
to
ascertaindamages.
~
{
~ .
[
/sf
Dr.Orly Taitz
ESQ
Perrequest
of
the
parties, the parties are
bei~ified
electronicallyvia
ECF
/sf
Dr.
OrlyTaitz,
ESQ
A[
en-~
AFFIDAVIT OF ORLYTAITZ REGARDING ATTEMPTS
TO
CONTACT DEFENDANT MICHELASTRUE
1. Defendant Astrue was notified about his legal action and he received
the
First AmendedComplaint
of
this action originally pending in the Superior Court
of
MississippionApri
l13
,2012through hisattorneyHelen
L.
Gilbert
at
Helen.L.Gilbert@usDOJ.gov.
He
did
not
respond.
2.
Defendant Astrue wasservedby Process server Daniel Williams docketedherein
as
Document
54-1
SameDay ProcessServi
ce
,
Inc
.1219lith
St
NW
Washington
DC
2000I(202}--
39
8
-42
00l
nt
emalJob I 0:62302 Defendant Astrucneverresponded.
3.Due
to
thefact
that
allprior attempts
to
get
a response
from
defendant Astrue failed,PlaintiffTaitz
is
requesting thiscourt
to
grant her
Motionto
compelproduction
of
documentsunder
FRCP
37
as
part
of
postdefault discovery.
1
attest
under
penalty
of
perjury
tha
~
afore
tioned
is
true
and correct
to
the
best
of
my
knowledgeand informedbelief
(
a11f/
/sf
Dr.Orly
Ta
itz
ESQ

Activity (22)

You've already reviewed this. Edit your review.
1 hundred reads
Karen Diaczyk liked this
Carol Light liked this
cbreitel liked this
Chet Johnson liked this
Ellen Larson liked this
patgund liked this
Jude Messineo liked this
DaisyMcGee liked this

You're Reading a Free Preview

Download
/*********** DO NOT ALTER ANYTHING BELOW THIS LINE ! ************/ var s_code=s.t();if(s_code)document.write(s_code)//-->