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Case 8:13-cv-00220-JDW-TBM Document 93-2 Filed 11/04/13 Page 1 of 2 PageID 2002

UNITED STATES DISTRICT COURT MIDDLE DISTRICT OF FLORIDA TAMPA DIVISION LUIS A. GARCIA SAZ, and wife, MARIA DEL ROCIO BURGOS GARCIA, Plaintiffs, vs. CHURCH OF SCIENTOLOGY RELIGIOUS TRUST; CHURCH OF SCIENTOLOGY FLAG SERVICE ORGANIZATION, INC.; CHURCH OF SCIENTOLOGY FLAG SHIP SERVICE ORGANIZATION, INC. d/b/a Majestic Cruise Lines; IAS ADMINISTRATIONS, Inc.; U.S. IAS MEMBERS TRUST, Defendants. / Case No. 8:13-cv-220-T27-TBM

DECLARATION OF LUIS A. GARCIA SAZ Pursuant to 28 U.S.C. 1746, Luis A. Garcia Saz deposes and states: 1. I am a Plaintiff in this action. I submit this Declaration based on my personal

knowledge in support of the allegations in the Complaint and any amendment that might be necessary to the Complaint to cure any deficiencies in the Courts subject matter jurisdiction. 2. To my knowledge I have never met with or spoken to anyone with Church of

Scientology Religious Trust or U.S. IAS Members Trust (collectively, the Trust Defendants). 3. I was asked to give donations to the Super Power Expansion Project by

individuals who worked at the facilities of Church of Scientology Flag Service Organization (FSO) in Clearwater, Florida.

Case 8:13-cv-00220-JDW-TBM Document 93-2 Filed 11/04/13 Page 2 of 2 PageID 2003

4.

The payments were made in some instances in the name of the trust defendants,

which I understood to be the bank accounts that held the money on behalf of FSO. 5. To my knowledge, the Trust Defendants do not have any employees to solicit the

monies that were procured for the Super Power Expansion Project. Rather, the Trust Defendants are merely bank accounts utilized to hold those procured funds. 6. I certify under penalty of perjury that the foregoing is true and correct.

Executed on November 4, 2013

Luis A. Garcia Saz

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