Case 8:12-cv-01507-DOC-AN Document 7

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CENTRAL DISTRICT OF CALIFORNIA

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SOUTF{ERN DI\ISION FIRST AMENDED COMPLAINT REMOVED FROM THE SUPERIOR COURT OF CATIFORMA CASE 30-2012-00582135 originally captioned as Taitz v Obama, Feinstein, Emke'n et al

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Keith Judd, Orly Taitz, Thomas G. Macleran, Leah Lax, David Farrar Larry Rappaport, Lucien Vita Carol Vita

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BARACK OBAMA , IN HIS CAPACITY AS A CANDIDATE ON THE BALLOT FOR THE US PRESIDENT IN 2012 ELECTION NATALIE E. TENNANT, in her
capacity ofState;

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of
West

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Fr

DEBRA BOWEN, in her capacity of Califomia Secretary of State;

of
Plaintiffs,

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Virginia

Th eF og bo w. co m
U.S. DISTRICT COTJRT
Case No.: l2-cv-1507

Phone t949) 683-5411 fax (949\ 766-7603 Email : Orli.taitz(Dsmai l.cdm CA Bar lic'ense 22Y433 Counselor for Plaintiffs

298-19 Santa Marsifita Pkwv Suite 100 Rancho Santa MaTsarita. C492688

Dr. Orlv Taitz ESO.

EX-PARTE MOTION FOR LEAVE OF COT]RT TO HAVE AN EMERGENCY MOTION FOR STAY HEARD E)?PARTE OR ONA SHORTENED RESPONSE SCIIEDULE

Secretary

Case 8:12-cv-01507-DOC-AN Document 7

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P. KEMP, in his capacity Georgia Secretary of State;

BRIAN

of

of State;
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NANCY PELOSI in her capacity of the Chairwoman ofthe 2008 Democratic National Convention and Signor ofthe Cedificate of Nomination for Candidate
for President Obama; MICHAIL ASTRUE in his capacity as the Commissioner of SSA;

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WILLIAM A. CHATFIELD
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In his capacity as former Director ofthe Selective Service; ALVIN ONAKA in his capacity as registrar ofthe Health Department of Hawaii; JANET NAPOLI'I ANO in her capacity as Secretary of Department of Homeland Security; ERIC HOLDER in his capacity as Attomey General of the USA; BRIAN SCHATZ in his capacity as 2008 Chairman ofthe Democratic party of Hawaii and Signor ofthe Cenificate for Presidency for Barack Obama; LYNN MATUSOW in her capacity as 2008 Secretary ofthe Democratic pany ofHawaii and Signor ofthe Certificate for Presidency for Barack Obama AIICE TRAVIS GERMOND in her capacity as a secreury of the 2008 Democratic Nominating Convention; OBAMA FOR AMERICA; BALLOT LAW COMMISSION OF STATE OF FIEW IIAMPSHIPJ; BOARD OF DIRECTORS OF CALIFORMA REPTJBLICAN

nd

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of

Th eF og bo w. co m
Judd v .,,,, complain! - ii

WILLIAM M. GARDNER, in his capacity ofNew Hampshire Secretary

Case 8:12-cv-01507-DOC-AN Document 7

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PARTY; DEAN C. LOGAN in his capacity

as

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Los Angeles county registrar, ELIZABETH EMKEN in her capacity as a candidate on the ballot; DIANNE FEINSTEIN in her capacity as a candidate on the ballot; CLAY D. LAND in his capacity as a Federal Judge, Central District of

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Georgiq JOHN AVLON, in his capacity as a reporter for Daily Beasti CHRIS MATTHEWS in his capacity as a host of MSNBC; MSNBC FORBES MAGAZINE; KEVIN LINDERHILL in his capacity as a reporter for FORBES MAGAZINE: CLEARCIIANNEL COMMUNICATIONS; KFI AM 640; JOHN AND KEN SHOW; JOHN KOBELT; PATRICK R. DONAHOE in his
capacity as Post Master General and Chief Executive Officer of United States Postal Service; JOHN DOES and JANE DOES

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l-100;

Defendants

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nd
Judd

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v.,.
conplaint - iii

of

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Th eF og bo w. co m

Case 8:12-cv-01507-DOC-AN Document 7

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EX.PARTE MOTION FOR LEAVE OF COURT TO HAVE AN EMERGENCY MOTION FOR STAY LIEARD EX/PARTE OR ON A SHORTENED
RESPONSE SCHEDULE

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parte rehef should be granted ifthe evidence shows "that the moving party's cause will be irreparably prejudiced ifthe underlying motion is heard according to
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regular noticed motion procedures." Mission Power Eng'g Co. v. Continental Cas. Co., 883 F. Supp. 488, 492 (C.D. Cal. 1995).

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Plaintiffs incorporate by reference their First Amended Complaint and exiibits to
the First Amended Complaint (Hereinafter "FAC") as

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FAC shows evidence ofmassive elections fraud that requires immediate attention.

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of

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l. Affidavits ofComputer analyst David Yun
a

half million invalid voter registrations in the current voter roll ofthe Secretary

State of Califomia. In order to prevent elections fraud CA Elections Code 2150

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require electors to provide their personal information in 8 different areas, such as
name, birth date, prior voter registration, state where they were bom or

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abroad, a country where they were bom. Affidavits of David Yun show that there
are 756,213 voter registrations in the Current Voter Roll

Judd

v obim

Ex-parte Request to Hear a Motion for stay/Prelininary Injuactiou

Th eF og bo w. co m
Argument

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if fully pled herein.

shows that there are at least one and

of

ifbom

ofthe Califomia

Sec

Case 8:12-cv-01507-DOC-AN Document 7

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of state without rcquired information on the State of Birth, 898 without the first
name, 757 without the birth date and so on. Second affidavit by David Yun shows

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685,739 where U.S. or U.S.A. (Exhibit I herein, Exhibir
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e-mail from the oftrce ofthe Los Angeles registrar represents an admission against
interest ofthe defendants, where the employee admitted to falsification

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records, stating that employees themselves wrote in the registration records "US"
where the state of birth was missing. (Ex-hibit 2 herein,

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complaint)There are 685,739 where U.S. or

Even ifthe employees ofthe Registrar were not to admit to forgery and

falsification ofrecords, these registrations would not be valid, as according to Election code 2150 one needs to

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Only ifhe was bom abroad, the elector can post the name ofthe country. Based on
this one criteria alone, without taking into consideration the other 7 areas

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required information there are |,441 ,942 invalid voter registrations, nearly one
and a half

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million invalid voter registrations. Taitz was a candidate for the U.S.

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Senate in 2012 primary election. The difference between her and candidate Emken

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who was second and proceeded to 2012 General election was only 450,000 votes. The number of invalid voter registrations in only one of8 categories is three times

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higher than Emken's margin of victory.

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General election is not issued, pending removal from the voter rolls

Jud.! v Obafra Ex parte Request to near a Motio. fo! Sray/prelininaly Injunction

Th eF og bo w. co m
l8 FAC) Additionally,
an

of

Exlibit 29 First

amended

U.S.A

was posted in the records.

fill

in a STATE where he was bom, notjust U

of

Ifan

emergency stay ofthe CA Senatorial

ofall

the

Case 8:12-cv-01507-DOC-AN Document 7

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invalid voter registrations and revote, Taitz will be irreparably harmed.

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is warranted.
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Additionally, both candidates, who proceeded into the top 2 general election:

Senator Feinstein aild the Republican Candidate Emken were served with the
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complaint on July 10, when the complaint was originally filed in the state court.

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Tbey did not respond yet and chose to ignore the complaint believing that nojudge

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will

have the strength ofcharacter to stay the Senatorial election and that every

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judge will do what is usually done in elections fraud cases: find some lame excuse
to dismiss the complaint. As Senator Feinstein has a much higher number ofvotes
than Emken, the only defendant, who can be affected by the Ex-Parte is Emken,

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and she had over 2 months notice already and cannot claim detriment by ex-parte.

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PlaintiffKeith Judd is a Candidate for the U.S. Presidency, who got

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vote in West Virginia Primary. Judd has standing to seek an ex-parte hearing as

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exhibits 1-35 ofthe FAC show overwhelming evidence that the winner ofthe WV
Democratic primary, Barack Obama, placed his name on the ballot by fraud and

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using forged Selective Service certificate, forged birth Certificate and a stolen Conneclicut Social Security number xxx-xx-4425, which according to E-verifu

and SSNYS was never assigned to Obama, but is being used by him as his

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verification of identity as late as in April 15, 2010, as posted on his tax retums.

Judd v obana Er-parte Reqoest to Hea! a Molion for Stay/Prelininarv lnjunction

Th eF og bo w. co m
400lo

Considering the proximity ofthe election, ex-parte hearing or an expedited hearing

ofthe

lf

Case 8:12-cv-01507-DOC-AN Document 7

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ex-parte hearing is not held, due to upcoming 2012 General Presidential election Judd's rights as a candidate

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defendant, who would be affected by such ex-parte is Defendant Obama. He
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cannot be possibly harmed by such order, as he was served here and was served to appear in court in similar cases and he simply arrogantly chose to be in contempt

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of court and not appear. Exhibit 3 herein represents an order by a Deputy Chief
administrative Judge of the State of Georgi4 Michael Malihi in response to
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motion by Obama to quash subpoenas issued by Attomey Taitz. Malihi ruled in

Taitz favor and upheld the subpoenas issued by Taitz for Obama and other officials
to appear in court and submit his identification papers. Obama decided to go
behind the back ofthe presiding judge and on the eve ofthe hearing Obama,

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through his attomey Michael Jablonski, submitted a letter to the Secretary of State

ofCeorgia, Brian Kemp, asking him to take the case away from the Deputy Chief

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Administrative Judge Malihi as he (Obama) is supposedly suffers from Taitz.
Secretary of State Kemp responded that

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not show up, he is doing so in his own peril. Obama and Jablonski did not show up
and did not provide any documents. Similarly, Obama was subpoenaed to appear at

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the elections Commission hearing in the state oflndiana, where Taitz presented
evidence offorgery in his IDs. Obama boycotted this hearing as well. A hearing on the Indiana challenge is scheduled for September 26, 2012, I :30 pm in the
Judd v ObaRa lx-patte Request to Eear a r4otio! for stay/Preliminary hjunclion
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s

Th eF og bo w. co m
if Obama boycotts the heaxing
and does

will be ineparably harmed. On the other hand, the only

Case 8:12-cv-01507-DOC-AN Document 7

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Indiana Superior Court before Judge Sherry K Reid in Indianapolis, Indiana.

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he would have sent his attomeys with required documents. The only reasonable
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explanation why Obama is boycotting the court hearings, is because he knows that
there is no legitimate reason or explanation for his use

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Security number which was never assigned to him according to E-verif! and SSNVS and there is no explanation orjustification for hiding the original

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application for the Selective Service and Birth Certificate, when alleged copies were shown to be forgeries. As Obama boycotted prior hearings and showed a complete disrespect and contempt for the Court

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believe that he will act any differently and there is no reason not to grant the

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plaintiffs their motion for the ex-parte hearing or altematively

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expedited hearing on the motion to stay Obama's placement on the ballot in general

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identification papers are examined by experts in light of forgery in his alleged
copies.

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CONCLUSION

Motion for Stay/ Preliminary Injunction of tbe 2012 Califomia Senatorial

election, as well as 2012 Certification ofBarack Obama as a Presidential candidate
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election or certification ofhis votes for the general election until the original

v Obama [x parle

Th eF og bo w. co m
ofa Connecticut Social

Clearly, if Obama had any valid lDs, he would show up for the court hearings or

oflaw,

there is no reason to

a

motion for an

RequesE

lo Hear a Motion fo! Stay/Prelininarv lniuncrion

Case 8:12-cv-01507-DOC-AN Document 7

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should be held ex-parte. [n altemative such motion should be heard on expedited

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-1', Zn:a*Respectfirtly submitred
/V Dr. Orly Taitz ESQ 09.2t.2012

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v obanra Ex-palte
Request

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to tea! a l{ot1on for stav/Prelininarv hjunction

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schedule to be set by the court.

Case 8:12-cv-01507-DOC-AN Document 7

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CERTIFICATE OF SEITVICE

I I il! Dirtred rllcll lh l i rnr o!cr l8 !ea.\ oi.l. n.l a |r.r|1\ lo lhii legal.rcliorl' !

( hrjflnin r)ilhe ilousc o\.rsighl con'rrllcc
I157 ltalhtrrr Hi)use ollicc
\ rshin-qlon. DC :{):

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;kiing

Case 8:12-cv-01507-DOC-AN Document 7

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Public
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.i I)ellirtnrcnt ol Justicc

I.S- D!'pLrrtmcnt o1'Justice

C'r'iminal Division

950 Pcnn 'ylr irnirr Arcnue, N W Wirshington

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Michael :. Horor.r.'itz

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Inspector Gcneral D(' panment

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of Justicc

Officc o1'the Inspcrctor General
tJ.S. Depru I mcnt ol Justice

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N.W. Roorn 4706
Wash

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UN Nations committee tbr civil rights defenders OHCHR in New York
(JN Headquarters

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ltudd v Obatu Ex-parte Request to Hear a Motion fo! Stay/Prellrninaly hjunction

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105.101

Case 8:12-cv-01507-DOC-AN Document 7

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Case 8:12-cv-01507-DOC-AN Document 7

Filed 09/22/12 Page 13 of 17 Page ID #:19

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Case 8:12-cv-01507-DOC-AN Document 7

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