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Strunk v Paterson/Obama et al - NOM for FAC w Summons and First Amended Complaint w Exhibits - NYS Supreme Court County of Kings - 11/12/2010

Strunk v Paterson/Obama et al - NOM for FAC w Summons and First Amended Complaint w Exhibits - NYS Supreme Court County of Kings - 11/12/2010

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Strunk v Paterson/Obama et al. - NOM for FAC w Summons and First Amended Complaint w Exhibits - 29642-08 NYS Supreme Court County of Kings - 11/12/2010 - More; http://obamareleaseyourrecords.blogspot.com/2010/11/strunk-v-patersonobama-et-al-treason.html
Strunk v Paterson/Obama et al. - NOM for FAC w Summons and First Amended Complaint w Exhibits - 29642-08 NYS Supreme Court County of Kings - 11/12/2010 - More; http://obamareleaseyourrecords.blogspot.com/2010/11/strunk-v-patersonobama-et-al-treason.html

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Published by: ObamaRelease YourRecords on Nov 13, 2010
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04/08/2014

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SUPREME
COURT
OF
THE
STATE
OF
NEW
YORK
COUNTY
OF
KINGS Index
No.:
29642
1
08
Christopher Earl Strunk,
Plaintiff,
-against-
NOTICE OF MOTION
David
A.
Paterson
(NYS
Govemor
,
ndrew
Cuomo
4
Attorney General),
Thomas
.
IN
liPSorn
troller)
Sheldon ~il~er$NY~y~erf
e
~ssembf
,
~a1'com
mith
Hakeem
Je
d
es
S
Assemb
I"
man
sm"r)9
or the
5p
AD),
Christine
&7c
of
th
CouncaWilliam
Thorn
son
(NY
Comptroller),
Jim
Tedisw
&S
Assemblyman),
Dean
Skelos
ident
pro
tempore
of
+e
NYS Senate)
in
their
%cia1
%
ties and ind~vidually,he DemocratCandidate sidential Electors as
a
class,
in
their officialCa acity and individually;
The
New
York State Board
B
ry
of
lect~ons nd John
Does
nd Jane Does
52
:-
a
Defendants,
z
0
x
-
x-
-
r-
PLEASE
TAKE
NOTICK
that upon the annexed affidavit of Christopher-Earl
:
S~I~
sse,
b
-2
afErmed
November
11,2010
with
exhibit
annexed,
will move for leave to file and
servpthe;
Q
--
Amended
Summons
and
Verified
Fi
mended Complaint
before
the
Honorable
~an%
.
'
Schmidt
the
Part
47
Courtroom
in
the
Courthouse
at 360
Adams Street
Brooklyn
New York
3
10007,
@
ay
of November
2010, atJ$:30
O'clock before Noon or at
a
time designated bythe
court
as
soon
theder
as
coumxl
can
be
3
Christopher-Earl: Strunk in
esse
593
Vanderbilt Avenue
#281
Brooklyn,
New York
11238
Email: chris@strunk.ws
Ph.
845-901-6767
CC:
STATE
OF
NEW
YORK
Kimberly
A
Gala
Eq.
OFFICE
OF
THE
ATTORNEY GENERAL
New York
State
Board of Elections
*
ANDREW
M.
UOMO
40
Steuben St.
BY:
JOEL
GRABER,ESQ.
Albany
,
y,
q?,
Assistant Attorney General
ldc:~
~0
120
BROADWAY
-
?
$3;
7
;
FE~
;
!\
c[&<K
NEW
YORK,
New
York
10271
144
*
*
0
Gk%,
8-7
Notice of Motion
-4
1,-
,
.
 
Strunk v Paterson et al. NYS Supreme Court of Kings Index No. 29642-08
Plaintiff’s Affidavit Page 1 of 6
SUPREME COURT OF THE STATE OF NEW YORKCOUNTY OF KINGS Index No.: 29642 / 08
 
---------------------------------------------------------------------------x
Christopher Earl Strunk,
Plaintiff,-against-
 
AFFIDAVIT IN SUPPORT OF
David A. Paterson (NYS Governor), Andrew Cuomo(NYS Attorney General), Thomas P. DiNapoli
OF THE MOTION FOR
(NYS Comptroller), Sheldon Silver (NYS Speaker of the Assembly), Malcom Smith (NYS Senator),
PERMISSION TO FILE A
Hakeem Jeffries (NYS Assemblyman for the 57
th
AD),Christine Quinn (NYC Speaker of the Council),
FIRST AMENDED COMPLAINT
 William Thompson (NYC Comptroller),Jim Tedisco (NYS Assemblyman), Dean Skelos(President pro tempore of the NYS Senate) in theirOfficial Capacities and individually, the DemocratCandidate Presidential Electors as a class, in their officialCapacity and individually; The New York State Boardof Elections and John Does and Jane Does
Defendants.
 
-------------------------------------------------------------------------x
STATE OF NEW YORK )) ss.COUNTY OF KINGS )
 Accordingly, I, Christopher Earl Strunk, being duly sworn, depose and say underpenalty of perjury:1.
 
That I am the self represented Plaintiff, Christopher Earl Strunk in esse(Affirmant, Strunk) with place for service at 593 Vanderbilt Avenue – 281 BrooklynNew York 11238 telephone (845) 901 -6767 and email: chris@strunk.ws.2.
 
That I am of sound mind, make this statement without reservation or intentof deception or connivance in the matter of my own, my family and associates’ wellbeing safety and rights.3.
 
This Affidavit is in support of the Notice of Motion for permission to file aFirst Amended Complaint (FAC) to the underlying Verified Complaint filed on orabout October 27, 2008 and is filed with leave under CPLR Rule 305 and Rule3025(b); there is no previous request for this relief, nor is there another to benefit.
 
Strunk v Paterson et al. NYS Supreme Court of Kings Index No. 29642-08
Plaintiff’s Affidavit Page 2 of 6
4.
 
That the Verified FAC with Summons annexed herewith provides nunc protunc additional facts and details as a more definite statement of the ongoing injurysuffered by Plaintiff along with those similarly situated and that requires theaddition of necessary parties and the treatment of the Democratic Party ElectoralCollege of New York as a Class rather than as a matter of individual persons in thatthe election and vote has already occurred and is merely a matter of state andfederal record at the present; and further,5.
 
That Plaintiff’s injury as a matter of complexity requires standing with CPLR§1353 regarding civil preceding regarding enterprise corruption by all Defendantindividuals’ malicious promotion of a scheme to defraud the people of the New Yorkstate in promotion of ballot fraud with the 2008 election cycle with ineligiblePresidential Candidates intent to launder campaign funds both foreign anddomestic to seize the Executive.6.
 
That necessary Parties as yet known are joined herein pursuant to CPLR§1354 as persons and or enterprise not convicted of the crime of enterprisecorruption that is a party to a civil action under this Article 13, whenever joinder of such person or enterprise is necessary with CPLR §1001; and according to PenalLaw § 460.40 Enterprise corruption jurisdiction is afforded the Court forparticipation by a person(s) preparatory to, however separate from a State FinanceLaw Article 13 Section 190 application.7.
 
That Plaintiff alleges a suffrage and property taking injury effected byviolation of Penal Law § 105.35 by all Defendants individually that are part of a

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