/  11
 
UNITED STATES DISTRICT COURTSOUTHERN DISTRICT
OF
FLORIDA
Case No.: 09-Civ-81255-DIMITROULEAS/SNOW
MARSHA G. RIVERNIDER,ROBERT H. RIVERNIDER, andCHARLES EDWARD LlNCOLN, III,Plaintiffs,vs.U.S.
BANK
NATIONAL ASSOCIATION,As Trustee for the C-Bass Mortgage LoanAsset-Backed Certificates, Series 2006-CBS,and all John & Jane Does, 1-10,Defendants.
AFFIDAVIT
OF
CHARLES EDWARD LINCOLN,
III
I,
Charles Edward Lincoln, III
am
over the age
of
eighteen (18) and
am
a Plaintiff in theabove-entitled-and-numbered cause. I have personal knowledge
of
the facts stated herein andwhen called to do so, I cap and will competently testify to the same in open court.I declare the following facts to be true and correct:
1.
On June 25, 2009, I was with Orly Taitz in Philadelphia, after the morninghearing in the case
of
Liberi
v.
Taitz.
Pending before Judge Eduardo Robreno in the UnitedStates District Court for the Eastern District
of
Pennsylvania.2. As
of
that date I had only met Philip J. Berg in Court and Orly had
just
barelyintroduced me to him. I had never met him before that date. I had never communicated withhim before that date, although I had heard about him in connection with his several well-known litigations concerning the events
of
9/11 and then in connection with Barack Obama.3. I had begun working on the
Llberi
case with Orly Taitz on June 9, 2009.
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of
C/J.or.lc§.Edw.ord..linco./g.
QJ.
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IgjU
r q = . t f r J f i Y ~ r T j ' e ~ £ r ~ a i f t T J C n ; ~ ~ r ~ a r ~ £ f f : ' a r r f - r - - - a m ; ' "
 
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Case 9:09-cv-81255-WPD Document 55-7 Entered on FLSD Docket 01/26/2010 Page 1 of 11
 
UNITED STATES DISTRICT COURTSOUTHERN DISTRICT
OF
FLORIDA
Case No.: 09-Civ-81255-DIMITROULEAS/SNOW
MARSHA
G.
RIVERNIDER,ROBERT
H.
RIVERNIDER, andCHARLES EDWARD LINCOLN, III,Plaintiffs,vs.U.S. BANK NATIONAL ASSOCIATION,As Trustee for the C-Bass Mortgage LoanAsset-Backed Certificates, Series 2006-CBS,and all John & Jane Does, 1-10,Defendants.
AFFIDAVIT
OF
CHARLES EDWARD LINCOLN,
III
I,
Charles Edward Lincoln, III am over the age
of
eighteen (18) and am a Plaintiff in theabove-entitled-and-numbered cause. I have personal knowledge
of
the facts stated herein andwhen called to do so, I can and will competently testify to the same in open court.I declare the following facts to be true and correct:
1.
On June 25, 2009, I was with Orly Taitz in Philadelphia, after the morninghearing in the case
of
Liberi
v.
Taitz.
Pending before Judge Eduardo Robreno in the UnitedStates District Court for the Eastern District
of
Pennsylvania.
2.
As
of
that date I had only met Philip
J.
Berg in Court and Orly had just barelyintroduced me to him. I had never met him before that date. I had never communicated withhim before that date, although I had heard about him in connection with his several well-known litigations concerning the events
of
9/11 and then in connection with Barack Obama.3. I had begun working on the
LIberi
case with Orly Taitz on June 9, 2009.
Affidavit
of
CharlesEdwardLincoln, III, regardingDr. OrlyTaitz
1
Case 9:09-cv-81255-WPD Document 55-7 Entered on FLSD Docket 01/26/2010 Page 2 of 11
 
4.
Orly Taitz and I rented a car (my driver's license, her credit card) after the hearingon Tuesday and
we
drove around New Jersey for the purpose
of
Orly making a police reportconcerning Lisa Ostella and
to
request her arrest and prosecution for fraud, forgery, and/orembezzlement
of
funds belonging to Defend Our Freedoms Foundations, Inc. of which OrlyTaitz was President. Orly Taitz has accused several people
of
forgery (See Exhibit
A).5.
Orly Taitz asked me
to
drive because she said she was too tired to drive, and soshe did not even give her driver's license at the car rental, although we both signed the rentalagreement.
6.
At that time I knew nothing about Lisa Ostella (except that she was a Plaintiffagainst Orly together with Lisa Liberi in
Liberi
v.
Taitz.
I did not even realize how closelyLisa Ostella and Orly Taitz had worked together.
7.
Orly Taitz said that she had reason to believe that Lisa Ostella hadmisappropriated funds belonging to her and/or her foundation.
8.
Orly Taitz carried with her several copies
of
a very large file which, she said,contained the evidence
of
Lisa Ostella's embezzlement and/or fraud.
9.
I knew absolutely nothing about the allegations against Lisa Ostella or anythingelse
to
do with her. I did not examine the contents of the file
at
all.
10.
Orly and I had been up all night the night before; the original purpose
of
ourmeeting was
to
prepare for the hearing but other things happened that night, and frankly Iwas energized and just delighted to be driving Orly around New Jersey: with someone withwhom I had spent such a wonderful, romantic, night
as
the night before. I was in a ratherhappy daze at the time, which seems pretty ironic and stupid now, but even "during themoment" I recall thinking that Orly was at the very least unusually intense and eccentric.
Affidavit
of
Charles Edward Lincoln, III, regarding Dr. Orly Taitz
2
Case 9:09-cv-81255-WPD Document 55-7 Entered on FLSD Docket 01/26/2010 Page 3 of 11

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