9. That Barack Hussein Obama I1 is merely
native born naturalized citizen not a Natural-Born
Citizen (NBC) a person born in the country of US Citizen parents) as defined by the Supreme Courtof the United States (SCOTUS) in the precedent set in
U.S. 162 (1875),21Wall. 162, and 22
627. by Justice Waite holding that
er se are soby virtue of birth on United States soil when both parents were Citizens of the United Statesaccording to the US Constitution Article 2 Section 1 paragraph 5 de jure citizens without reachingthe need of use of the 14th Amendment or the power of Congress granted with Article
paragraph 4 to define>aturaljzation and immigration status person other than NBC persons.
10. That Barack Hussein Obama I1 is mt a Natural-
Citizen however may be classified as "Born a
Citizen" depending upon the power of Congress granted to define such status other than NBC.
That Barack Hussein Obama I1 is a declared candidate with EL 14-100(1)(7)(9)ere in New York,and has illegally directed his campaign fund raising here in New York to proceed starting lastsummer as with EL 14- 114;
12. That BHO 11as
ineligible declared candidate,,seeking
ballot line in the Democratic Rimary and
General Election ballot starting February 14, 20 12.13. That BHO I1 as an ineligible declared candidate illegally participates within the state and personallydirected his fund raising agents to proceed as defined under NYS EL 14-114 and the fraudulentconversion of the funds as defined by EL 14-130 in relevant parts with related law.
14. That the NYS BOE is willfully facilitating BHO I1 as an ineligible declared candidate since no later
he 2008 election cycle continuing now with malicious facilitation using instructions on the
NYS BOE website page "Running for Office" contrary to the law of the land and the requirements setby the State Legislature stating therein as to citizenship status that a declared candidate need onlybe "Born
Citizen" rather than a "Natural-born Citizen" to
eligible for the office of POTUS.15. That Petitioner alleges that the Chairman and Commissioners are involved in the misprision of afelony by facilitating the declared candidacy of Barack Hussein Obama I1 and others, and that
duplicate of this complaint affidavit is simultaneously filed with the Albany District Attorney for
investigation; and that16. On January 26, 2012, Petitioner was a material witness at the ballot access hearing held by theGeorgia Secretary of State before a Justice of that Court to bar Barack Hussein Obama I1 from thatballot and BHO I1 nor his attorney attended by default relinquish 16 electoral votes from Georgia.17. Petitioner knows the wrongful acts to facilitate the'continued fund raising and attempt for ballotaccess by the declared candidate is an irreparable harm with time
the essence that applies to meby misapplication and administration of laws; the same is true to my own knowledge, except as tothe matters therein stated to be alleged on information and belief, and as to those matters
tobetrue. The grounds of my beliefs as to all matters not stated upon information and belief are asfollows:
parties, books and records, and personal knowledge.
Notary Public State Of
Qualified In Queens County
Certified In Kings County
Commission Expires March
CC:Office of the District ~ttorne~Albany County Judicial Building
ERIC T. SCHNEIDERMAN6 Lodge StreetAttorney General of New York StateAlbany,
12207 The CapitolCert
No: No: 70 1 11570000033846633 Albany, New York 12224Strunk Complaint and Demand for Hearing with EL 3-104Page 2 of 2