UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

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Dr. Orly Taitz, PRO SE § 29839 Santa Margarita Parkway, STE 100 5 Rancho Santa Margarita CA 92688 § Tel: (949) 683-54 11 ;Fax (949) 766-7603 Plaintiff, §

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Civil Action: 10-CV-00151

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Barack Hussein Obama, C/O White House The 1600 Pennsylvania Avenue, N.W. Washington, District of Columbia 20500
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STRUNK'S NOTICE OF CROSS MOTION FOR A DECLARATORY JUDGMENT ON DUAL ALLEGIANCE WITH 28 USC $2201 AND $2202 RELIEF BY FRCvP RULE 56(d) PARTIAL SUMMARY JUDGMENT PLEASE TAKE NOTICE that upon the annexed cross- motion support Declaration of March 8,2010, Christopher-Earl: Strunk in esse, as an Ex-Relator Interpleader-Defendant will move this Court for a Declaratory Judgment with $2201 and 92202 relief with FRCvP Rule 56(d) before Chief District Judge Royce C. Larnberth at a time afforded by the Court if necessary at the United States Courthouse, at 333 Constitution Avenue NW Washington District of Columbia, on the day and month in 2010, at a time and courtroom designated by the court, or as soon thereafter as counsel can be heard.
Dated: March 2010 Brooklyn New York

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593 Vanderbilt Avenue #28 1 Brooklyn, New York 11238 Email: chris@strunk.ws Cell-845-90 1-6767
Christopher-Earl: Strunk O in esse

cc: listing of service to follow

The Honorable Richard J. Leon United States District Judge for the U.S. District for the District of Columbia 333 Constitution Avenue, NW, Room 6315, Washington, DC 20001 Dr. Orly Taitz, D.D.S. , J.D.

29839 Santa Margarita Parkway, STE 100 Rancho Santa Margarita CA 92688
Ronald C. Machen, Jr. United States Attorney c/o of Counsel Alan Burch, AUSA Office of the U.S. Attorney for the Washington District of Columbia 555 4th St., N.W. Washington, D.C. 20530 Eric Holder, U.S. Attorney General c/o Brigham John Bowen, AUSA U.S. DEPARTMENT OF JUSTICE 20 Massachusetts Avenue, NW Washington, DC 20530 Barack Hussein Obama in esse c/o The White House 1600 Pennsylvania Avenue NW Washington, DC 20500

UNITED STATES DISTRICT COURT FOR THE DISTRICT OF COLUMBIA

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Dr. Orly Taitz, PRO SE 29839 Santa Margarita Parkway, STE 100 Rancho Santa Margarita CA 92688 Tel: (949) 683-54 11;Fax (949) 766-7603 E-Mail: dr taitz@vahoo.com v. Barack Hussein Obama, C/O White House The 1600 Pennsylvania Avenue, N. W. Washington, District of Columbia 20500 Defendant.

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Civil Action: 10-CV-00151
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(RCL)

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STRUNK'S DECLARATION IN SUPPORT OF THE CROSS MOTION FOR A DECLARATORY JUDGMENT ON DUAL ALLEGIANCE WITH 28 USC 82201 AND 82202 RELIEF BY FRCvP RULE 56(d) PARTIAL SUMMARY JUDGMENT
I, Christopher-Earl: Strunk in esse, declare and say under penalty of perjury with 28 USC 8 1746: 1. Declarant is the petitioner who has a pending Notice of Motion to Intervene as an Ex-relator Intervener-Plaintiff with FRCvP Rule 19(a)and 24 in the Quo
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Warranto matter with FRCvP Rule 8 1 (A) (2) as the USA and .ex-relator plaintiff and Cross Motion as an Interpleader-Defendantwith FRCvP Rule 22. 2. Declarant makes this declaration with LCvR 7(b) that appears due within 14

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days from the motion filing or as the court may direct, in support of the Cross Motion for A Declaratory Judgment on Dual Allegiance with 28 USC §2201 and §2202 Relief by FRCvP Rule 56(d) Partial Summary Judgment in conjunction with Plaintiff’s application for a preliminary injunction in opposition to the Motion to Dismiss the case filed February 26, 2010 by Assistant United States Attorney Alan Burch with a correction filed March 1, 2010, and that Declarant response, due by March 12, 2010, is in addition to the Notice of Cross Motion with local rules and FRCvP Rule 22 as an Ex-Relator Interpleader-Defendant with an Interpleader Verified Cross Complaint affirmed March 4, 2010 annexed herewith. 3. Strunk wishes a partial summary judgment with FRCvP Rule 56(d) for a Declaratory Judgment with 28 USC §2201 and §2202 as to the legal controlling facts in this case of Defendant Obama’s admitted Dual Allegiance at birth without two U.S. Citizen parents contrary to the U.S. Constitution Article 2 Section 1 Clause 5, as a matter of first impression Defendant Obama is not a natural-born citizen and therefore is ineligible to be the chief law enforcement administrator and trustee of the office of the President of the United States (POTUS) and or of Strunk’s grant of power of attorney over personal accounts and matters. 4. Further, because the Usurper action(s) are thus void ab initio as to the incapacity to effect the duties of the POTUS, Ex-relator(s) requires a Writ of Mandamus directive to the Congress and the President of the Senate Joseph Biden

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as to Article 2 Section 1 Clause 6 and 25th Amendment of Article 7 under the separation of powers doctrine; and 5. The Facts on which Strunk relies are: A. The Divorce between Stanley Ann Dunham and Barack Hussein Obama Sr. (See Exhibit A) B. Obama’s Admits against self interest that Mr. Obama Jr.’s natural father Mr. Obama Senior, was a British Citizen governed under the laws of the United Kingdom married to Mr. Obama Jr.’s mother Stanley Ann Dunham at the time of Mr. Obama Jr.’s birth on August 4, 1961 as shown in the Book Dreams From my Father published by Crown Publishing in 1995 and he has admitted Dual Allegiance at birth without two U.S. Citizen parents (See Exhibit B) C. Obama’s mother a U.S.A. Citizen and his father a Kenyan National British Citizen within the United Kingdom with law and Monarchy that governs. D. Defendant Obama admits that his father at the time of his birth was a citizen of the United Kingdom and that the British Nationality Act of 1948 governs dual citizenship at birth. E. That Mr. Obama acknowledges by endorsing Senate Resolution 511 in 2008 that you need two (2) U.S.A. Citizen parents at birth to be qualified to be a natural born citizen.

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F. That on or about August 26, 2009, Defendant Obama through his agent after due notice required by law responded in writing with a special demurrer (See Exhibit C); 6. further, notwithstanding the FRCvP Rule 56(d) Declaratory Judgment, Exrelator(s) require with 28 USC §1361 a writ of mandamus of: (i) DHS to ascertain the facts of Obama’s alleged born in Mombasa Kenya under penalty of perjury by Lucas Smith; (ii) FEC / DOT ascertain facts of foreign contributors to any and all Obama campaign committees including Obama for America, Obama Victory Fund, and others; (iii) FEC / DOT ascertain facts for a full accounting on all monies paid to Obama, the various Campaign committees, agents and or John Does(s) Jane Doe(s) and or XYZ entities conspiring as defined with 42 USC §1971, 42 USC §1983, §1985, §1986, the False Claims Act with 31 U.S.C. § 3729– 3733 and related law in entirety; and (iv) with FRCvP Rule 65 and LCvR 65.1 a TRO restraining Defendant Obama, the Supplemental Defendants Obama for America, Obama Victory Fund and or agents use of any account(s) to be placed under the control and investigation of a court appointed special master with FRCvP Rule 53(a)(b)

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to ascertain facts of wrong doing for a jury trial on Plaintiff and Interpleader injuries, complains of Defendants. 7. That Strunk request an orders of Defendant Obama to appear at a show cause hearing preliminary to the issuance of a declaratory judgment based upon the above facts as soon as the Court grants Strunk Interpleader standing and at which time a full memorandum of law is to be presented on the declaratory matter by

Strunk for the Defendant and Courts use.
8. I have read the above request for a declaratory order with a partial Summary Judgment in the "Natural-Born Citizen" issue as applies to dual allegiance as a question of first impression with exhibits attached as the facts speak for themselves, and I know its contents; the facts stated in the Cross Complaint herein are true to my own personal knowledge, except as to the matters therein stated to be alleged on information and belief, and as to those matters I believe it to be true. The grounds of my beliefs as to all matters not stated upon information and belief are as follows: 3rdparties, books and records, and personal knowledge. except as to those stated upon information and belief, which I believe to be true. Dated: March 2? , 2010 Brooklyn, New York Christopher-Earl': Strunk in esse 593 Vanderbilt Avenue - #281 Brooklyn., New York 11238 (845) 90 1-6767 Email: chris @ strunk.ws

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EXHIBIT B
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M .Christopher'strunk r
Unit 28 1 593 Vanderbilt Avenue Brooklyn, New York 1 1238 Dear M .Strunk: r.
Thank you for 00ntacting the 08ce of Resident Band:Obama. Ihe President appreciates your taking the time to voice your concerns and opinions.
We would tikt to be of assistance to you; however, due to the separation of powers, it is not within our authority to become involved in legal matters. You must resolve this issue through the judicial s s e . ytm

Please be aware that you can visit www.usa.~ov call 1-800-FEDINFO or for information about Federal Government assistance.
We hope your concerns are resolved to your satisfaction.

kgain, thank you for your wxrespondtnce. Sincerely,

F. Michael Kellehei Special Assistant to the President and Diredor of Presidential Compondence

U.S. District Court for the District of Columbia in re Taitz v. Obama, 10-cv-00151 (RCL)
CERTIFICATE OF SERVICE

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On Uarch 8,2010, I, Christopher-Earl: ~ h n in esse, under penalty of perjury pursuant to 28 USC k 1746:
Declarant caused the service of five (5) complete sets of STRUNK'S NOTICE OF THE CROSS MOTION FOR A DECLARATORY JUDGMENT ON DUAL ALLEGIANCE WITH 28 USC 92201 AND 92202 RELIEF BY FRCvP RULE 56(d) PARTIAL SUMMARY JUDGMENT with Supporting Declaration with Exhibits annexed declared March 8,2010, and did place each of four (4) complete sets in a sealed folder properly addressed with proper postage to be served by USPS mail upon: Eric Holder, U.S..Attorney General Dr. Orly Taitz, D.D.S. ,J.D.' C/O Brigham John Bowen, AUSA 29839 Santa Margarita Parkway, STE 100 U.S. DEPARTMENT OF JUSTICE Rancho Santa Margarita CA 92688 20 Massachusetts Avenue, NW Washington, DC 20530 Ronald C. Machen, Jr. United States Attorney C/O Counsel Alan Burch, AUSA of Barack Hussein Obama in esse Office of the U.S. Attorney for the C/O White House The Washington District of Columbia 1600 Pennsylvania Avenue NW 555 4th St., N.W. Washington, DC 20500 Washington, D.C. 20530

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and hand delivery of one courtesy copy to: The Honorable Richard J. Leon United States District Judge for the U.S. District for the District of Columbia 333 Constitution Avenue, NW, Room 63 15, Washington, DC 2000 1
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593 ~gnderbilt Avenue - #28 1 Brooklyn New York 11238 Phone: (845) 90 1-6767 Email: chris@,strunk.ws