/  51
 
09/17/2029
06:03
110493
P.001/080
Dr. Orly
Taib,
Esq
Attorney
Pro
Se
& Attorney
For
Defelld
Our
FreedolDl
Foundation
29839
Santa
Margari1a
Parkway,
Suite 100
Randlo
Sata
Margarita CA 92688
Tel: (949)
~ 5 4 1 1 ;
Fax
(949)
7"-7603
E-Mail:
dr
IN THE UNITED STATES DISTRICT COURT
FORTHE
EASTERN
DISTRICfOF
PENNSYLVANIA
LISA
LmERI,
et
at.,
) Response
to tbe 
07.26.10. emergency motioplaintiffs to keep
tnmscnp
seal
) Motion
for
clarification
and
motion-reques)
for
order to
show cause,
wby
sanctions
sh
) be
assessed
against
parties defrauding the
)by
ciaivtiog
that
Judge
Robreno issued
an
Pla.iD.tiffs
)"order"
to
seal
transcript
of
Liberi v
Taitt
j
.....
;
) forwarded
to
the
Third
Circuit court
of
Appeals
~
)
v. 
)
) District
Court
ease
#
09-cv-01898-ER
',...
__
.t
ORLY
TAITZ,
et
at,
)
Court
of
Appeals
number
case #09-3403
;:!i"~'
)
aad
other
repeated
ads
oftraud
"~,,fl)'
c",
6,
DefendaDts..) 60 B motion
AW/CJrJ
..
~-
~
~
{J
(.
{J
.
-z
-
......
,~.
"-
III
~ ~ .
"(,/"~
BaCkground
of
the ease
.
'~O"'1Ji-
~
Due
to
the
great importance
of
this.
matter. and fraud
being
perpetrated
on
the US District
Court as
well
as
the
Court
of
Appeals,
and due
to
the
fact
that
the plaintiff here Lisa
Liberi
is
cur.rently
on
probation
in
the
state
of
CA as a
result
of
10
felony
convictions
of
forgery, forgery
of
an official
seal
and
gmnd
theft, this motion
is
addressed
to thepresiding
judge
The
Hon
Eduardo Robreno; as well as the Chief Judge
of
US District
Court for
the
Eastern
District
of
Pennsylvania
The Hon
Harvey
Bartle,
ill;
and the
Chief
Il5J
[§
©
[§
U
'\'i'
~
-
,.,
JUL
2 8
2010
:::
(\
n
by
the
. ts
under
t
ouldnot
courts
-'
c'
,
.-
"
Liberi
v
Taitz Motion for Clarification 1
Case 2:09-cv-01898-ER Document 136 Filed 07/29/10 Page 1 of 51
 
09/17/2029
06:03
#0493
P.002/080
Judge
for
the
Third Circuit
Court
of
Appeals~
The
Hon
Randall
Ray
Rader.
It
is
cc-ed
tothe Public
Integrity
Unit
of
the
Department
of
Justice, Civil
Rights
Commission inWashington
DC,
the PA State Bar,
the
Philadelphia
DA,
Audrey
B. Collins..
the ChiefJudge
of
the
Centtal
District
of
CA,
Judge David
O.
Carter Centml
District
of
CA,
San
Bernardino
County, the
California Probation Department,
and
the
San
Bernardino
County
District
Attorney James Secord,
1.
In
an
around April
of
2009 Attorney
Orly
Taitz, who
is
also a president
of
Defend
Our
Freedoms
foundation,
was
forced
to
start a
new
website
for
her
foundation,.
when herformer volunteer
web
master
Lisa
Ostella -
without
any
authorization
~
took over
the
website
of
her foundation and continued soliciting donations from supporters. wherebydiverting
funds
from the
foundati~
while
at
the same time denigrating Taitz
and
promoting
attorney
Philip Berg.
(
.....
2. At
the same time
Taitz
was
contacted
by
Linda Belcher. a former volunteer
~r
-1
Attorney
Philip
Berg, whereby Belcher disclosed
that
assistant
for
Berg.-
Lisa
LibeJi;
-
.
.
has
a
long"Wl'ap
sheet
of
10
felony
convictions
of
forgery
of
documents,
forgery
o~
official
seal
and grand theft
3.
Taitz
and
licensed
investigator Sankey
did
their due diligence
by
conducting multiple
interviews
of
Lieberi's arresting officer,
District attorney
on the case. James
Secor~
probation
officer.
victims,
and
pulled
all
the
public records
and
verified
that
indeed
the
assistant
for
attomey
Berg,
is
Lisa Liberi,
an
individual. convicted
in
CA
in
2008,
who
Liberi
v
Taitz
Motion
for
Clarification 2
Case 2:09-cv-01898-ER Document 136 Filed 07/29/10 Page 2 of 51
 
09/17/2029
0603
#0493
P.003/080
received
an
eight
years
prison
tenn,
which was reduced
to
probation until
March
of
2011. According
to
the terms
of
her
probation., she
is
allowed
to
reside only
in CA or
NM.
Exhibit
l Superior
court
of
San
Bernardino
County,
CA
printout
of
caseFWV028000, defendant 1608112 Lisa Renee Liberi,
aka
Lisa
Courville Richardson,.
aka
Lisa Courville Rich,
aka
Lisa. Richardson. showing 10
felony
convictions.
Exhibit
4Superior
Court
of
C~
San
Bernardino County counts
of
indictments FSB044914 forLisa Liberi and
Exhibit
5 Superior
court
of
C~
San
Bernardino County
CaseFWV082000
indictments for
Lisa Liberi.
Indictments show
multiple schemes, where
through forgery
and
fraud
Liberi
effectuated grand theft.4.
In
and
around April
of
2009 Taitz contacted
Berg
by
two
e-mails,
forwarded
to
him
Uberils
conviction snmmary and
advised
him
that
she is aware
of
Liberi's
past.
that
she
is
aware
that
Liberi assists Berg by
preparing documents for
him
and
mailing
those
to
him.
and
that
she
had
a
number
of
concerns.
She
was
concerned
about
the
met
that
Berg
aDd
Liberi
went on
a number
of
radio
shows,
where
they
announced
that
Liberi.
was an
~Je
c.)
assistant
for
Ber~
that
she
has
prepared
his
case Berg v
O ~
that
contained
affida:l4fs
from Kenya"
attesting
to Obama's
birth
there. Taitz asked
Berg to
allow
her
and'l:D!!r
CAi
w
forensic
document
expert
to
examine
the
original
documents
from
Africa,
ro
make
surethat those are
not
forged, as
it
was
possible
in
light
of
Liberi's convictions
just
a
year
earlier. While Taitz believed, that Mr.
Obama
needs
to
unseal bis original birth certificatewith
the
name
of
the
hospital
and
doctor, she
was
concerned about those affidavits fromAfrica,
as
possibly
being forged
and
undermining the case Taitz
bas
incorporated this
evidence
in
her legal actions
and
wanted
to
make sure she
didn"t tmknowingly
Liberi
v Taitz Motion for Clarification 3
Case 2:09-cv-01898-ER Document 136 Filed 07/29/10 Page 3 of 51

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