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CHALICE|PATRIOT'S HEART NETWORK - EMERGENCY: PETITION – FOR REDRESS BEFORE THE MCHENRY COUNTY GRAND JURY

CHALICE|PATRIOT'S HEART NETWORK - EMERGENCY: PETITION – FOR REDRESS BEFORE THE MCHENRY COUNTY GRAND JURY

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Published by Jack Ryan
This is not from the court docket but rather Patriot's Heart site, and has redactions the court docket more than likely does not contain.

She has announced she is appearing before a judge and a state's attorney on Monday, the 7th of December.

CHALICE|PATRIOT'S HEART NETWORK - EMERGENCY: PETITION – FOR REDRESS BEFORE THE MCHENRY COUNTY GRAND JURY - HEARING 12/7/09 McHENRY COUNTY, IL
This is not from the court docket but rather Patriot's Heart site, and has redactions the court docket more than likely does not contain.

She has announced she is appearing before a judge and a state's attorney on Monday, the 7th of December.

CHALICE|PATRIOT'S HEART NETWORK - EMERGENCY: PETITION – FOR REDRESS BEFORE THE MCHENRY COUNTY GRAND JURY - HEARING 12/7/09 McHENRY COUNTY, IL

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Published by: Jack Ryan on Dec 05, 2009
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05/11/2014

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TWENTY-SECOND JUDICIAL CIRCUIT
(Second Appellate District)
FOR MCHENRY COUNTY, ILLINOISCase No.:
SHARON ANN MERONI (aka Chalice Jackson)PATRIOT’S HEART MEDIA NETWORK, )INC., Members JOHN DOES and JANE )DOES 1-20, Registered Voters and Members )of PATRIOT’S HEART MEDIA NETWORK, )INC.,
(728 NW HWY, Fox River Grove, IL
)
 60021 847-304-8800)
)
EMERGENCY:
 
PETITION –FOR REDRESS BEFORE THEMCHENRY COUNTY GRANDJURY
 Petitions,MCHENRY COUNTY GRAND JURY )FOREMAN AND GRAND JURY MEMBERS )
The matter of Voter Fraud is an emergency of the utmost importance to our County, Stateand Country. Petitioner seeks an EMERGENCY appearance before the McHenry CountyGrand Jury.I, the undersigned Petitioner, appearing pro se as an individual, as a member of the Pressand as the Founder of Patriot’s Heart Media Network, Inc (a Citizen run media outlet) inthe role of “spokesperson” for John and Jane Does, members of Patriot’s Heart MediaNetwork, Inc, in accord with the directions of personal convictions and loyalty to theConstitutional Republic of the United States of America, and the Illinois Constitution, onoath and before God Almighty, set forth this prayer by way of Petition in the Twenty-Second Judicial Circuit
(Second Appellate District)
McHenry County, IL seekingEMERGENCY redress of grievances as a registered voting member of McHenry County,to investigate all Criminal and Civil actions that resulted in rampant voter fraud in theState of Illinois Primary Election, held on Tuesday February 5
th
, 2008 and the regular Nov
Page 1 – PETITION – TO APPEAR BEFORE THE MCHENRY COUNTY GRAND JURY
 
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4
th
, 2008 Election. In Prima Fascia perspective, Petitioner knows from her research thatthis voter fraud potentially reaches into all elected offices in the County and State.It is noteworthy to state: This petition is not to serve anyone with specific charges. ThisPetitioner’s intent is to communicate with the Foreman and the Grand Jury Members of thesitting Grand Jury in the 22
nd
Circuit Court of McHenry County. Petitioner prayer forredress, is for appearances before the convened Grand Jury, to present without restrictionsfrom the “Prosecutor” or Judge, evidence of pervasive voter fraud in McHenry County andthus in the State of Illinois. This Petitioner seeks to work with the Grand Jury as a speciallyappointed “Investigator” to compel testimony to determine how this voter fraud wasperpetrated against her, against the residents of McHenry County and of the great state of Illinois. Petitioner also seeks redress from damages from this voter fraud.
1.0
 
PARTIES
1.1 Petitioner is Sharon Ann Meroni, Natural Born American Citizen, longtimeresident of and registered voter in McHenry County, Illinois whose First Amendmentright to cast ballots in an election without impermissible barriers has been deprived.1.2 Petitioner, Sharon Ann Meroni, a resident of McHenry County is a CitizenJournalist and Founder of Patriot’s Heart Media Network, seeking Redress under 1
st
 Amendment Rights, (US Constitution) and according to similar Illinois ConstitutionRights, URGENTLY seeks appropriate public disclosure of facts attesting to this voterfraud.1.3 Voter Registration information: As listed on Petitioner’s Voter RegistrationCard (Exhibit A): McHenry County, Algonquin Township 45, Congressional Dist 16,
Page 2 – PETITION – TO APPEAR BEFORE THE MCHENRY COUNTY GRAND JURY
 
1234567891011121314151617181920212223242526Leg District 26, Rep Dist 52, County Board 1 in McHenry County where the Petitionercast her ballots in the Primary and General Election, 2008.1.4 Patriot’s Heart Media Network is a Media outlet Incorporated in the State of Illinois, with the primary location of business in McHenry County, Illinois. Sharon AnnMeroni is the Founder and Owner of Patriot’s Heart Network. Patriot’s Heart Network has been involved in actions seeking redress on this matter. Petitioner is also known as‘Chalice Jackson’ in her Internet role as a Broadcasting Blogger. As “spokesperson”Petitioner states she personally knows of thousands of people who are impacted in thismatter.1.5 Potentially, the path allowing for violation of Petitioner’s rights occurred inpart from Federal corruption and misdeeds, however the actual usurpation of Petitioner’sFirst Amendment Rights occurred at the Fox River Grove Middle School polling place.For this reason, Petitioner seeks redress at her County Grand Jury.1.6 Petitioner will present to the Grand Jury indisputable evidence of massivevoter fraud and severe deficiencies in the current law in securing her constitutional rights.1.7
 Petitioner has not entered into this Petition lightly. With her soul, her total  beingness, and before her Lord God, Petitioner affirms she is taking this action because she is driven to reveal these acts of voter fraud, believing her nation in grave risk, knowing this is not about a specific political party, and testifying to the Grand  Jury, this is not about political vengeance.
2.0
 
INTRODUCTION AND STANDING
Page 3 – PETITION – TO APPEAR BEFORE THE MCHENRY COUNTY GRAND JURY

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