OFFICE OF STATE ADMINISTRATIVE HEARINGS
STATE OF GEORGIA
KEVIN RICHARD POWELL,
Plaintiff
v.
BARACK OBAMA,
Defendant
DOCKET NO.: OSAH-SECSTATE-CE1216823-
60-MALIHI
NOTICE TO PRODUCE
TO: MICHAEL JABLONSKI
260 Brighton Road NE, Atlanta, Georgia 30309
Attorney for Defendant Barack Obama
Pursuant to OSAH Rule 616-1-2-.19, Defendant Barack Obama is hereby notified to be and appear before the Georgia Office of State Administrative Hearings, the Honorable Michael M. Malihi presiding, at the Fulton County Justice Center Building, 161 Pryor Street, Courtroom G-40, Atlanta, Georgia on January 26,
2012 at 9:00 a.m., and to bring with him into said Court
the following items to be used as evidence by the Plaintiffs in the above-styled case:
(a) One (1) of the two (2) original certified copies of
Defendant Barack Obama's ("long form") Certificate of
Live Birth as referenced in the four (4) pages of
Exhibit "A" attached;
(b) All medical, religious, administrative, or other
records of or relating to Defendant Barack Obama's
birth;
(c) Any and all United States Passports, passport
applications, and passport-related records for
Defendant Barack Obama;
(d) Any and all passports, passport applications, and
passport-related records for Defendant Barack Obama
from any country, nation, or sovereignty;
(e) Any and all college and university admission
information, both undergraduate and postgraduate, for
Defendant Barack Obama, including, but not limited to,
admission applications; letters of recommendation;
school transcripts;" financial aid applications;
scholarship applications; and any and all
correspondence awarding admission, financial aid,
scholarships, or the like;
(f) Any and all applications and accompanying materials
submitted by or for Defendant Barack Obama to the State
Bar of Illinois, the State Supreme Court of Illinois,
the Attorney Registration and Disciplinary Commission
of the Supreme Court of Illinois, and any other similar
entity regulating the admission to the practice of law;
(g) Any and all other documents, materials, and papers
having any relation to the subject of the birthplace,
citizenship, denizenship, and national origin of
Defendant Barack Obama;
(h) Any and all documents, materials, and papers having any relation to the subject of the birthplace, citizenship,
denizenship, and national origin of Defendant's father,
Barack Obama, Sr.
(i) All correspondence between Defendant Barack Obama and any other person, firm, political party, or entity discussing Defendant's status vel non as a natural born Citizen pursuant to Article II, Section I, Clause 5 of
the United States Constitution.
Defendant will note that the preceding items are requested hereby, whether they pertain to Defendant under his name Barack Ohama or any other name, including but not limited to Barack Hussein Ohama II; Barry Soetoro; Barry Soebarkah; Barry Ohama, or
the like.
Herein fail not under penalty of law.
This 19th day of January, 2012.
HATFIELD & HATFIELD, P.C.
201 Albany Avenue
P.O. Box 1361
Waycross, Georgia 31502
(912) 283-3820
OFFICE OF STATE ADMINISTRATIVE HEARINGS
STATE OF GEORGIA
KEVIN RICHARD POWELL,
Plaintiff
v.
BARACK OBAMA,
Defendant
DOCKET NO.: OSAH-SECSTATE-CE1216823-
60-MALIHI
NOTICE TO PRODUCE
TO: MICHAEL JABLONSKI
260 Brighton Road NE, Atlanta, Georgia 30309
Attorney for Defendant Barack Obama
Pursuant to OSAH Rule 616-1-2-.19, Defendant Barack Obama is hereby notified to be and appear before the Georgia Office of State Administrative Hearings, the Honorable Michael M. Malihi presiding, at the Fulton County Justice Center Building, 161 Pryor Street, Courtroom G-40, Atlanta, Georgia on January 26,
2012 at 9:00 a.m., and to bring with him into said Court
the following items to be used as evidence by the Plaintiffs in the above-styled case:
(a) One (1) of the two (2) original certified copies of
Defendant Barack Obama's ("long form") Certificate of
Live Birth as referenced in the four (4) pages of
Exhibit "A" attached;
(b) All medical, religious, administrative, or other
records of or relating to Defendant Barack Obama's
birth;
(c) Any and all United States Passports, passport
applications, and passport-related records for
Defendant Barack Obama;
(d) Any and all passports, passport applications, and
passport-related records for Defendant Barack Obama
from any country, nation, or sovereignty;
(e) Any and all college and university admission
information, both undergraduate and postgraduate, for
Defendant Barack Obama, including, but not limited to,
admission applications; letters of recommendation;
school transcripts;" financial aid applications;
scholarship applications; and any and all
correspondence awarding admission, financial aid,
scholarships, or the like;
(f) Any and all applications and accompanying materials
submitted by or for Defendant Barack Obama to the State
Bar of Illinois, the State Supreme Court of Illinois,
the Attorney Registration and Disciplinary Commission
of the Supreme Court of Illinois, and any other similar
entity regulating the admission to the practice of law;
(g) Any and all other documents, materials, and papers
having any relation to the subject of the birthplace,
citizenship, denizenship, and national origin of
Defendant Barack Obama;
(h) Any and all documents, materials, and papers having any relation to the subject of the birthplace, citizenship,
denizenship, and national origin of Defendant's father,
Barack Obama, Sr.
(i) All correspondence between Defendant Barack Obama and any other person, firm, political party, or entity discussing Defendant's status vel non as a natural born Citizen pursuant to Article II, Section I, Clause 5 of
the United States Constitution.
Defendant will note that the preceding items are requested hereby, whether they pertain to Defendant under his name Barack Ohama or any other name, including but not limited to Barack Hussein Ohama II; Barry Soetoro; Barry Soebarkah; Barry Ohama, or
the like.
Herein fail not under penalty of law.
This 19th day of January, 2012.
HATFIELD & HATFIELD, P.C.
201 Albany Avenue
P.O. Box 1361
Waycross, Georgia 31502
(912) 283-3820
OFFICE OF STATE ADMINISTRATIVE HEARINGS
STATE OF GEORGIA
KEVIN RICHARD POWELL,
Plaintiff
v.
BARACK OBAMA,
Defendant
DOCKET NO.: OSAH-SECSTATE-CE1216823-
60-MALIHI
NOTICE TO PRODUCE
TO: MICHAEL JABLONSKI
260 Brighton Road NE, Atlanta, Georgia 30309
Attorney for Defendant Barack Obama
Pursuant to OSAH Rule 616-1-2-.19, Defendant Barack Obama is hereby notified to be and appear before the Georgia Office of State Administrative Hearings, the Honorable Michael M. Malihi presiding, at the Fulton County Justice Center Building, 161 Pryor Street, Courtroom G-40, Atlanta, Georgia on January 26,
2012 at 9:00 a.m., and to bring with him into said Court
the following items to be used as evidence by the Plaintiffs in the above-styled case:
(a) One (1) of the two (2) original certified copies of
Defendant Barack Obama's ("long form") Certificate of
Live Birth as referenced in the four (4) pages of
Exhibit "A" attached;
(b) All medical, religious, administrative, or other
records of or relating to Defendant Barack Obama's
birth;
(c) Any and all United States Passports, passport
applications, and passport-related records for
Defendant Barack Obama;
(d) Any and all passports, passport applications, and
passport-related records for Defendant Barack Obama
from any country, nation, or sovereignty;
(e) Any and all college and university admission
information, both undergraduate and postgraduate, for
Defendant Barack Obama, including, but not limited to,
admission applications; letters of recommendation;
school transcripts;" financial aid applications;
scholarship applications; and any and all
correspondence awarding admission, financial aid,
scholarships, or the like;
(f) Any and all applications and accompanying materials
submitted by or for Defendant Barack Obama to the State
Bar of Illinois, the State Supreme Court of Illinois,
the Attorney Registration and Disciplinary Commission
of the Supreme Court of Illinois, and any other similar
entity regulating the admission to the practice of law;
(g) Any and all other documents, materials, and papers
having any relation to the subject of the birthplace,
citizenship, denizenship, and national origin of
Defendant Barack Obama;
(h) Any and all documents, materials, and papers having any relation to the subject of the birthplace, citizenship,
denizenship, and national origin of Defendant's father,
Barack Obama, Sr.
(i) All correspondence between Defendant Barack Obama and any other person, firm, political party, or entity discussing Defendant's status vel non as a natural born Citizen pursuant to Article II, Section I, Clause 5 of
the United States Constitution.
Defendant will note that the preceding items are requested hereby, whether they pertain to Defendant under his name Barack Ohama or any other name, including but not limited to Barack Hussein Ohama II; Barry Soetoro; Barry Soebarkah; Barry Ohama, or
the like.
Herein fail not under penalty of law.
This 19th day of January, 2012.
HATFIELD & HATFIELD, P.C.
201 Albany Avenue
P.O. Box 1361
Waycross, Georgia 31502
(912) 283-3820