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Molly C. Dwyer Clerk of Court

February 27, 2013

No.: D.C. No.: Short Title:

13-70744 2:12-cv-02997-MCE-DAD James Grinols, et al v. USDC-SAC

Dear Petitioners/Counsel

If the U.S. Court of Appeals docket fee has not yet been paid, please make immediate arrangements to do so. If you wish to apply for in forma pauperis status, you must file a motion for permission to proceed in forma pauperis with this court. Pursuant to FRAP Rule 21(b), no answer to a petition for writ of mandamus and/or prohibition may be filed unless ordered by the Court. If such an order is issued, the answer shall be filed by the respondents within the time fixed by the Court. Pursuant to Circuit Rule 21-2, an application for writ of mandamus and/or prohibition shall not bear the name of the district court judge concerned. Rather, the appropriate district court shall be named as respondent.

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A petition for writ of mandamus and/or prohibition has been received in the Clerk's Office of the United States Court of Appeals for the Ninth Circuit. The U.S. Court of Appeals docket number shown above has been assigned to this case. Always indicate this docket number when corresponding with this office about your case.

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Office of the Clerk United States Court of Appeals for the Ninth Circuit Post Office Box 193939 San Francisco, California 94119-3939 415-355-8000

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IN THE COURT OF APPEALS FOR THE NINTH CIRCUIT

_______________________________________________________ GRINOLS ET AL V ELECTORAL COLLEGE

EMERGENCY PETITION FOR A WRIT OF MANDAMUS

AGAINST DEFENDANT BARACK OBAMA AND CONTEMPORANEOUS PETITION FOR A STAY OF ALL OTHER PROCEEDINGS IN THE CASE UNTIL THE ISSUE OF THE DEFAULT JUDGMENT IS ADJUDICATED

U.S. District Court Eastern District of California Counsel for the Petitioners Dr. Orly Taitz, ESQ 29839 Santa Margarita ste 100

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Rancho Santa Margarita, CA 92688

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Emergency Petition for a Writ of Mandamus

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Lower court case Grinols et al v Electoral College et al 12-cv-2997

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FOR THE DISTRICT COURT TO ISSUE A DEFAULT JUDGMENT

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JURISDICTION

This Court has jurisdiction to entertain this Petition for Writ of Mandamus pursuant to the All Writs Act, 28 U.S.C. 1651.

Case at hand originated in the Eastern District of California, which is a part of the 9th Circuit. Petitioner requests that the Court issue the writ under its supervisory power over the inferior federal courts. Hollingsworth v. Perry, --- U.S. ---, 130

Certificate of Interested Parties There are no interested parties /s/ Dr. Orly Taitz ESQ Statement of related cases

/s/ Dr. Orly Taitz ESQ

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Plaintiffs herein are Presidential Electors and Presidential Candidates. Barack (Barry) Obama Soebarkah, aka Barack (Barry) Soetoro, aka Harrison (Harry) J.
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SUMMARY OF THE CASE AND REQUESTED RELIEF

There are no related cases

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S.Ct. 705, 709-10 (2010).

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Bounel going under the pseudonym Barack Hussein Obama (Hereinafter

candidate for office and who defaulted. Notice of Default and request for Default Judgment is attached herein as Exhibit 1. Answer (or responsive pleading) was due on January 25th, Obama did not file an answer and defaulted. In their complaint Plaintiffs sought declaratory and injunctive relief. Plaintiffs provided the U.S. District Court for the Eastern Complaint 100 pages of official records, sworn affidavits of senior law enforcement officials and experts showing that Barack Obama is:

1. A citizen of Indonesia, as listed in his school registration #203 from Franciscan Assisi school in Jakarta, Indonesia. As a citizen of Indonesia Obama was never eligible and never legitimate for the U.S. Presidency. Exhibit 2

2. Obama is using last name not legally his. Plaintiffs provided this court with the passport records of Stanley Ann Dunham, deceased mother of Barack Obama, showing that he is listed under the last name Soebarkah in her passport (Exhibit 3). As seen in Ms. Dunham's passport records, her son was

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removed from her passport in August of 1969 pursuant to the request and sworn statement of Ms. Dunham which was witnessed by the U.S. consul in Jakarta Indonesia. As the requirement for removal as listed in the passport,
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Obama) is the main defendant in this case, who was sued as an individual, as a

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is obtaining a foreign allegiance, it is clear that Barack Obama Soebarkah

Indonesian passport. Barack Obama cannot serve as a U.S. President as the legal entity Barack Obama does not exist. The only legal entity based on the only verifiable record is Barack Obama Soebarkah.

A duplicate is admissible to the same extent as the original unless a genuine question is raised about the originals authenticity or the circumstances make it unfair to admit the duplicate.Registrar of the State of Hawaii and Director of Health and Deputy Attorney General of Hawaii in charge of the Health Department were obstructing justice and absolutely refused to comply with any subpoenas and

authentication of the alleged birth certificate (Exhibit 5). After 4 years of obstruction of Justice, it is clear that the Hawaiian officials have nothing to show

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and genuine 1961 birth certificate for Barack Obama simply does not exist.

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produce the original 1961 birth certificate and as such there was never any

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Obama does not have a valid U.S. birth certificate. Plaintiffs provided affidavits from Sheriff of Maricopa County Arizona Joseph Arpaio (Exhibit 4), Investigator Zullo (Exhibit 5), experts Felicito Papa (Exhibit 6), Douglas Vogt (Exhibit 7), Paul Irey (Exhibit 8), showing that the image posted by Obama on Whitehouse.gov is a computer generated forgery. When there is a question of authenticity of a document, the only way to authenticate, is to conduct expert evaluation of the original document. RULE 1003. ADMISSIBILITY OF DUPLICATES

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was removed (crossed out) from his mothers passport when he obtained his

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Obama does not have a valid Selective Service certificate. Based on the affidavit of

the Special Investigations Unit of the U.S. Coast Guard Jeffrey Stefan Coffman (Ret) (Exhibit 9) alleged copy of Obamas Selective Service Certificate, is COMPUTER GENERATED FORGERY.

Plaintiffs submitted with their TRO and complaint the Affidavits of Sheriff Arpaio and Investigator Zullo and as a supplement an affidavit of the Chief Investigator of the Special investigations of the US Coast Guard Jeffrey Stephan Coffman. Based on those affidavits Obama's alleged application for the selective service is a forgery. According to 5 USC 3328.every man born after 1959 has to register with the Selective Service and cannot work in the executive branch if he did not register with the selective service. (a)An individual

section 3 of the Military Selective Service Act (50 App. U.S.C. 453); and (2)who is not so registered or knowingly and willfully did not so register before the requirement terminated or became inapplicable to the individual,

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shall be ineligible for appointment to a position in an executive agency.

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(1)who was born after December 31, 1959, and is or was required to register under

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Sheriff Arpaio (Exhibit 4), investigator Zullo (Exhibit 5) and Chief Investigator of

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As Obama claims to be born in 1961 (without a valid birth certificate we don't even

forgery does not represent a registration, as such Obama is not eligible to be working in the executive branch of the U.S. government. He is not eligible to be a President in the White House or a janitor in the White House.

3. Obama's 2009 tax returns posted by Obama himself on line showed him using a Connecticut Social Security number xxx-xx-4425 (Exhibit 10 Affidavit of Felicito Papa), which failed both E-verify and SSNVS (Exhibit 11, 12). Affidavit of investigator Albert Hendershot (Exhibit 13) provided herein as an exhibit showed it being issued to Harrison (Harry ) J. Bounel, born in 1890 in Russia, immigrant to the United States, presumed to be deceased, whose death was either not reported to the SSA or deleted from the computer system by a treasonous and criminally complicit employee of the SSA. Due to Obama's use of a stolen SSN he is not eligible to work anywhere in the United States, not in the Federal Branch, not in any other branch, not in the private sector, not even to pick tomatoes or clean toilets. Based on his use of a stolen SSN the only thing Obama is eligible to is at

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least 18 month prison term and deportation.

Obama was sued as an individual, as a candidate for the U.S. Presidency.

Obama was obligated to file an answer or another responsive pleading within


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know when he was born) he had a duty to register with the Selective Service. A

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21 days and he was not entitled to use the Department of Justice/ U.S.

used by him as an individual running for the U.S. President.

Obama failed to file a response. Plaintiffs filed a notice of default and requested a Default judgment from the presiding judge Hon. Morrison England. There are other defendants in the case, however Obama is the main defendant and the case revolves around fraud committed by Obama and use of forged IDs by Obama. Plaintiffs are seeking an Emergency Writ of Mandamus from this court to the lower court to issue the Default Judgment against the Defendant Obama based on his failure to respond within 21 days as required and stay all other proceedings in the case pending adjudication of the Default judgment against defendant Obama.

HISTORY OF CONTEMPT OF COURT BY OBAMA

motion to dismiss the case and ordered trial. Exhibit 14. Taitz, who was the counsel in the GA case and the counsel in CA case issued subpoenas for Obama

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and respective agencies to produce the original documents. (Exhibit 15 ) Obama

filed a motion to quash. Taitz filed an opposition (Exhibit 16). Presiding judge
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in the Administrative Court of Georgia. Presiding Judge in the case denied the

In January 2010 an issue of Obama's eligibility to the U.S. Presidency was heard

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Attorneys office for his defense on the issue of fraud and use of forged IDs

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denied the motion to quash (Exhibit 17). Obama sent a letter to the secretary of

refused (Exhibit 18). Obama was supposed to show up at trial and produce all of the required documents. Obama simply showed contempt of court and never showed up and never presented any documents.

Obama showed unprecedented arrogance and disrespect towards courts and contempt of any court and behavior de facto stating that he is above the law. So, his failure to furnish an answer or a responsive pleading, as required, represents a part of a pattern.

ADDITIONAL REASON AND JUSTIFICATION FOR URGENCY AND FOR GRANTING AN EMERGENCY WRIT OF MANDAMUS Within days Obama appointee John Brennan is set to be confirmed as a Director of the CIA. However there is a direct connection between Brennan and Obama's use

with passport records of Obama. In January 2009 several articles appeared in Newsmax, WND.com quoting prior articles in Washington Times and Washington

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Post. Exhibit 21. Aforementioned articles argued that this tampering with Obama's passport records was done for the purpose of "cauterization" of such record from
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Corp, his employee was caught by the State Department repeatedly tampering

of falsified records. In 2008, when Brennan worked as a director of Analysis

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State of GA demanding to take the case away from the judge. Secretary of State

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any embarrassing or inconvenient information. These articles coincided with legal

Lightfoot v Bowen 08A524 in SCOTUS and Keyes et al v Bowen 34-200880000096 CU-WM-GDS Superior Court of CA. Both were related cases brought by Taitz on behalf of the write in vice Presidential candidate for Congressman Ron Paul, Gail Lightfoot, and for the Presidential Candidate former U.N. Ambassador Dr. Alan Keyes. Both cases questioned Obama's legitimacy for the U.S. Presidency. In conjunction with Keyes Taitz reached an agreement with the Department of Justice, U.S. Attorneys office for the Eastern District of California. Exhibit 22. This agreement was signed by Taitz and the Assistant U.S. attorney Yahinori Himel on behalf of the U.S. Attorney Lawrence Brown. Stipulation converting subpoena into Touhy demand based on United States ex rel Touhy v

Department records relating to the tampering with Obama's passport records, any

asserted on the parties and the court, as the Justice Department did not comply with the stipulation and did not provide information and the presiding judge. The case

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was

election, while later the higher court denied the appeals, claiming that the case was
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suddenly dismissed, ostensibly as being filed too late, after the November

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involved and specific changes. Taitz believes that ultimately there was pressure

and all information of what type of specific documents was assessed, individuals

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cases brought by an attorney for the Petitioners herein, Taitz. Cases quoted were

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filed too early, prior to Obama's confirmation by the Joint session of the U.S.

If one court dismisses the case, claiming it was filed too late and the higher court dismisses the case claiming it was filed early, it is a sign it was filed at the right time. In the global scheme of things in the past four years there were 45 attorneys and hundreds of pro se plaintiffs who filed legal challenges against Obama. For the past four years different courts and officials were kicking the can and passing the buck and so far not one single court heard the matter on the merits and not one single judge compelled production of the original IDs for Obama in light of the copies being found by law enforcement and experts to be forgeries. Now, not only the legitimacy of the U.S. Presidency is at stake, but also the CIA, National Security and U.S. intelligence community is at stake. Many in the media, establishment and public are currently in disbelief and denial claiming that it would be impossible for all of the safeguards and all of the checks and ballances to fail and crime of such magnitude not to be stopped in four years. However, Plaintiffs would like to bring forward an example from the recent history: in 1932 Germany was considered a cultured nation, it had a constitution, a Supreme Court, a Congress called Reichstag, thousands of individuals who called

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themselves reporters with journalistic integrity and thousands of individuals who called themselves unbiased judges with allegiance to the constitution, justice and
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Congress in 2009, which probably meant that the case was filed timely, just right.

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the rule of law, yet not single one of them found actions of Adolf Hitler to be

judges letters" sent to them by the regime. Based on the experience of the last four years it appears that the U.S. judiciary and establishment are doing the same, following the same marching orders to come up with excuses not to adjudicate on the merits, to keep hiding any original IDs for Obama, if they even exist, and turn a blind eye towards flagrant forgeries and theft of the Social Security number by Obama. Turning a blind eye to flagrantly unconstitutional behavior of Hitler in 1930s led to abuses of 1940s, deprivation of constitutional rights culminated in mass incarcerations and exterminations, and death of 65 million people. the same will happen here if the courts do not exercise their jurisdiction and do not rule. In this case the ruling that is requested, is the Default Judgment. Former Chief Justice of the U.S. Supreme Court John Marshall stated in Cohens v Virginia (1821) that not assuming jurisdiction is treason to the constitution. If the U.S. Judiciary does not exercise its jurisdiction in the case at hand, it will constitute treason not only to the constitution, but also to the United States of America as a whole.

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Obama was sued as an individual, he is an attorney (even though his license is no

longer active), Obama knew that as an individual he was supposed to hire a private attorney or represent himself pro se and file an answer within 21 days. Clinton v
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unlawful, illegal or unconstitutional. All the judges in Germany followed the "the

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Jones, 520 U.S. 681 (1997) serves as a precedent showing that the U.S. President

time for the court to issue a Default Judgment, so the parties can proceed with the post judgment discovery and finally get all the original documents. This is the most important matter of the U.S. National security. We have a foreign national usurping the U.S. Presidency with all forged and stolen IDs and the last name not legally his. As such an issue of the default judgment has to be heard immediately and all the other motions in the case should be stayed pending adjudication of this matter. Allowing a foreign national to usurp the U.S. Presidency represents High Treason.

CAN SOETORO, AKA SOEBARKAH, AKA BOUNEL, AKA OBAMA WHO WAS SUED AS A PRIVATE INDIVIDUAL, IN HIS CAPACITY AS A CANDIDATE CANDIDATE, ATTORNEYS FOR

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he was supposed to file an answer within 21 days, but he was not entitled to use the Department of Justice/ US Attorneys office for his defense.

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As stated before Obama was sued as an individual, a candidate for office. Not only

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COMMITTED OF AS CRIMINAL

can be sued as an individual and he was required to respond. He did not do so. It is

JUSTICE/U.S. DEFENSE

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After Obama did not answer the complaint within 21 days, US Attorneys office

This answer was filed on a 60 day deadline and Obama was included.

These actions by the Department of Justice, which is run by Obama appointee, Eric Holder, are flagrantly unconstitutional and unethical for a number of reasons: 1. U.S. Attorneys' office is supported by the tax payers and is there to represent Federal employees, who were sued as officials fulfilling their duties and in

not only were not in furtherance of the office, but they were for the purpose of the usurpation of the office of President and undermined any and all legitimacy of the office of the President and Commander in Chief. Not only Obama is not entitled to be represented by the U.S. Attorneys office, his use of this office represented a waste of public funds and an embezzlement of public funds and any and all funds wasted by the U.S. Attorneys office on defense of Obama, who was sued as a candidate, have to be refunded to the Treasury by both the U.S. Attorneys: Benjamin Wagner and Ed Olsen, who submitted the pleadings and by Obama, who

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2. Actions by the US attorneys office were flagrantly unethical as there was a clear

conflict of interest.
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sought to benefit from unlawfully using the U.S. Attorneys office.

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furtherance of their oath of office. Obama was sued as an individual and his actions

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filed an answer on part of other defendants, who happen to be Federal employees.

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Plaintiffs submit Exhibit 19 a letter from Defendant, member of the Electoral

the lower court that they represent all federal defendants, including members of the Electoral College, according to Mr. Ascoli, U.S. Attorney's office never contacted him, he had no idea that the U.S. Attorney's office filed pleadings on his behalf, and the position taken by the U.S. Attorneys' office was diametrically opposite from what the alleged client wanted. Mr. Ascoli forwarded the letter and a video clip at link electorial_votes.m4v. While the U.S. Attorneys office claimed that the federal defendants did not want a stay of certification of Obama pending adjudication of the issue of his forged IDs, the defendants wanted the opposite, they wanted the adjudication prior to certification. Similarly, a letter received from Senator McCain shows that Senator McCain was not put on notice regarding the

Department of Justice/ U.S. Attorneys , which is there to protect the public from

Court and defrauded the Nation. The interests of Obama are clearly opposite from the interests of the Federal Employees and as such the U.S. Attorneys office

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cannot be allowed to file responsive pleadings after Obama already defaulted and

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complicit in the cover up, defrauded the clients-Federal Employees, defrauded the

fraud, from forgery, from the usurpation of the Presidency, was criminally

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evidence and the position of the U.S. Attorneys office ( Exhibit 20)

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College 2012, Don Ascoli. While U.S. Attorneys Wagner and Olsen represented to

So, the

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also cannot be allowed to represent Obama, who was sued as a candidate for office

As such Default by candidate Obama cannot be cured after the fact by the U.S. Attorneys office. For a month the lower court did not respond to the Request for the Default Judgment. Due to the enormous threat to the U.S. National Security the Default Judgment has to be entered immediately.

As stated previously, the plaintiffs, who are presidential Electors and Presidential

were forced to compete against a criminal with forged IDs and his electors. They were completely deprived of their suffrage rights, their 14th Amendment Equal Protection rights, Honest Service by the election officials and Judiciary, rights. They are entitled to immediate adjudication, issuing of the emergency Writ of Mandamus is warranted ind in the Public interest. Defendant Obama will not be deprived of any rights by the Writ of Mandamus. He

Additionally, post judgment hearing can be held, whereby, if he has any valid identifications, he would be able to provide those, if he does not, as some 20

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affidavits from top law enforcement officials and experts show, then he never

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was given an opportunity to file responsive pleadings, he did not do that.

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Candidates were deprived of their right to participated in lawful elections, as they

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and act against the interests of the Federal employees.

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could occupy the position of the U.S. President and one cannot be harmed by

CONCLUSION AND REQUESTED RELIEF:

Plaintiffs are seeking a Writ of Mandamus stating as follows :

1. Obama was sued as a candidate for the position of the US President, not as a sitting President and was required to answer within 21 days 2. Obama did not answer within 21 days.

3. District court is to issue a Default Judgment at the earliest possible time. 4. Due to evidence presented by the Plaintiffs, showing Obama to be a foreign citizen who ran for the US President using forged IDs, a stolen Social Security number from a state where he never resided and a last name not legally his, this is a matter of the outmost importance for the U.S. National security and has to be

5. As Obama was sued as a candidate for office, he was not entitled to legal representation at the taxpayers expense by the US Attorneys' office. US Attorneys' office/Department of Justice are not allowed to represent Obama in this case and

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have to reimburse the taxpayers for the cost of this representation.

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decided as soon as possible.

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losing something that he was never entitled to in the first place.

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6. District Court should investigate actions by the US Attorneys office in filing

advising the US Congress and US electoral college of such representation and acting against the best interests of their clients and against the will of their clients. Respectfully,

/s/ Dr. Orly Taitz, ESQ

Certificate of Service is filed as a separate attachment


cc U.S. and International media

cc House Committee on the Judiciary

Congressman Bob Goodlatte -Chairman 2309 Rayburn HOB Washington, D.C. 20515 Phone: (202) 225-5431 Fax: (202) 225-9681

cc Congressman Gregg Harper (R-MS) Chairman

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307 House Office Building Washington DC 20515

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United State House Administration Subcommittee on Election

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pleadings, claiming to represent the US Congress and US Electoral college and not

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ph 202-225-5031

ccGregg Harper, Mississippi, Chairman Aaron Shock, Illinois Rich Nugent, Florida Todd Rokita, Indiana Bob Brady, Pennsylvania, Ranking Member Charlie Gonzalez, Texas cc Congressman Darrell Issa Chairman House Oversight Committee

2347 Rayburn House Building Washington DC, 20515

Chairman

House Intelligence Committee 133 Cannon House Office building

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Washington DC 20515

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cc Congressman Mike Rogers

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fax 202-225-5797

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cc Congressman Sam Johnson

House Subcommittee on Social Security House Ways and Means Committee 2929 N Central Expy, 240 Richardson, TX 75080

cc Congressman Dana Rohrbacher Chairman

House Subcommittee on Oversight and Investigations' House Committee on Foreign Affairs 2300 Rayburn House Building Washington DC 20515

on Civil Rights

624 Ninth Street, NW Washington, DC 20425 C

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US Commission

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19

Chairman

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Public Integrity Section

950 Pennsylvania Ave, NW Washington DC 20530-0001

Inter -American Commission on Human Rights

1889 F Street, N.W.. Washington, D.C., 20006 U.S.A.. Tel.: 202-458-6002,

202-458-6002. Fax: 202-458-3992.

Office of the United Nations High Commissioner for Human Rights (OHCHR) Special Rapporteur on the Situation of Human Rights Defenders The Honorable Mrs. Margaret Sekaggya

CH-1211 Geneva 10, Switzerland

BPI-ICB-CAPI Head Office

Neuhuyskade 94

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2596 XM The Hague The Netherlands


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International Criminal bar Hague

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Palais des Nations

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Department of Justice

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Tel : 0031 (70) 3268070 Fax : 0031 (70) 3353531 Email: info@bpi-icb.org Website: www.bpi-icb.org

0031 (70) 3268070

Regional Office - Americas / Bureau rgional - Amriques / Oficina regional Amricas 137, rue St-Pierre Montral, Qubec, Canada, H2Y 3T5 Tel : 001 (514) 289-8757 Fax : 001 (514) 289-8590 Email: admin@bpi-icb.org Website: www.bpi-icb.org

Laura Vericat Figarola BPI-ICB-CAPI

laura_bpi@icab.es

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08029 Barcelona, Espaa tel/fax 0034 93 405 14 24

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Address: Avenida Diagonal 529 12

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Secretaria Barcelona

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001 (514) 289-8757

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Civil Rights Defenders Orsolya Toth (Ms) Human Rights Officer Civil and Political Rights Section Special Procedures Division

Office of the High Commissioner for Human Rights tel: + 41 22 917 91 51 email: ototh@ohchr.org

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United Nations Commission for

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l, Lila Dube list with the

attest that I am over 18 years old and I served all the parties in the attached distribution ched Emergy'ncy petition for a Writ of Mandamus on 02.25.2013 by CF or First Class

Signed Lila Dubert George Michael Waters

Department OfJustice, Office OfThe Attorney General 1300 I Street Sacramento, cA 95814 916-323 80s0 Fax:916-324-8835
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cl

Edward A olsen, GoVT

United States Attorney's office


501 lStreet Suite 10 100

sacramento, cA 95814 9L6-554 2704 Fax:916-554-2900


E

a i

cdtv4d.qlrc!]Q!5dqLsa!

1600 Pennsylvania Ave

Washington

DC 20005

FR I

EN

DS

OF

Barack obama

TH

EF

OG BO W

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Mail

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Dr. Orly Taitz ESQ

Rancho Santa Margarita , Ca 92688 949-683-5 4LL f ax 949-766-7603

Orlv.taitz@smail.com

IN THE US DISTRICT COURT FOR THE EASTERN DISTRICT OF CAIIFORNIA

Grinols et al
V

Case # 72-cv-2997

) Honorable Morrison C. England

Electoral College et

al

REQUEST FOR AN EXPEDITED DEFAULT JUDGMENT AND A PROPOSED DEFAULT

IE

ND S

NOTICE OF DEFAULT OF DEFENDANT BARACK HUSSEIN OBAMA, AKA BARACK

(BARRY) SOETORO, AKA BARACK (BARRY) OBAMA SOEBARKAH

OF

FR

TH

)Chief Judge Presiding

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JUDGMENT

Grinols et al v Obama et al Notice of Default and Request for Default

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Judgment
1

29839 Santa Margarita, ste L00

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Case

at hand was file on L2.12.2Ot2. Defendant BARACK HUSSEIN OBAMA, AKA

in his capacity as a candidate for the

U.S. President. Defendant was served by

Same Day professional service processer on 01. A4.2CIL3. Defendant was under an

obligation

responsive pleading within

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to file an answer or a

01.25.2013. Defendant failed to file an answer or a responsive pleading and is currently in DEFAULT.

Plaintiffs are hereby respectfully requesting a default judgment against the defendant, post judgment discovery, costs and attorney fees. Additionally,
Plaintiffs are seeking an EXPEDITED DEFAULT JUDGMENT for the following reason: Commissioner of Social Security, Bush appointee is Michael Astrue. He announced

that he is leaving office in February, within days. According to evidence provided to this court, Obama made his tax returns public, which show him using a CT SSN

ND S

OF

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xxx-xx-4425, which was never assigned

Affidavits of investigators Sankey and Daniels already submitted to this court with

FR

to a date of birth 1890.

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the comptaint, show aforementioned

Grinols et alv Obama et al Notice of Default and Request for Default Judgment

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SSN

to him according to E-Verify and SSNVS.

to be linked in a number of databases

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2t

BARACK (BARRY) SOETORO, AKA BARACK (BARRY) OBAMA SOEBARKAH was sued

days on

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Recently

investigator Albert

Hendershot

found

in

the
h-

database of

flame

of the indir,'rdual whose

Social Security Obama

is using. Acxciom-batch-

solutions showed (Exhibit 1) that Harcy

Bounel with the same Social Security

Obama, Database shows Bounel with the sarne address and Social Security number

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numbet xxx-xx-4425 at 5046 S Greenwood Ave in Chicago, home address of Barack


as

Barack Obama himself. Accotding to the databases last changes to the information on

Obama, who is listed as Bounel's relative. Database changes can involve entering the

information or deletion of information.

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Harrison(H^fffl J Bounel were made in and around l.{ovember 2A09 by Michelle

It

appears that changes made

Michelle Obama included deletion of information, which was done zt a ttme when

Tutz brought to Federal couft in the Central District of California before

TH

Dr. Alan Keyes md 40 state Representatives and high ranked members of the
mfitary.

OF

David O. Carter a case of election challeoge by her client, former U.S. ambassador
U.S.

Recently obtained results of the 1940 census, Exhibit 2, provided the last missing link,

link between Harty J. Bounel and the date of bifih of 1890. Exhibit 2 shows the
printout of the U.S. census, showingH.arcy J Bounel, immigrant from Russia, residing

FR

IE

at91,5 D^ly Ave,

1890, as shown in the affidavit of Investigatots Daniels and Sankey.

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Brorx, f\fY, age 50 during the 1940 cerrsus, meaning he was born in

Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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httn:

rons/

the

by relative

Judge

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There is a pattern of Obstruction of Justice and tampering with the official records

particular when Bush employees leave their positions ar,d are replaced by Obama
appointees.

In March of

2A09 one

of the clients of Tartz, Maior General Carcl. Childers aranged

for her to meet with the Director of the Selective Service Sfilliam Chatfield. After

Tua provided Chatfield with evidence of

forgery

Service certificate, Childers resigned and was teplaced by Obama appointee Lawrence

Romo. Later. when Sheriff of Maricopa county, AZ Joseph Arpaio demanded from

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of

Obama's alleged Selective

Romo the original paper registration by Obama, Romo responded that

Similady, when the former intelligence officer Pamela Barnett sought passport records

OF

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destroyed.

of

Stanley Ann Dunham, Obama's mother, she was g1yefl only some

and was told that the 1965 passport for Dunham was destroyed.

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Nfhen investigator Sandler provided

Tuu

and reporter Corsi with a batch number for


1.961,,

the immigraaanftravel records for Obama for August L-7

FR

weeks for 1961 could be found with no problem. After an arricle was written about

IE

disappeared from the National Archives, even though the records for the other

missing records, tJrere was

falsification

of records and another investigator,

Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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it

and falsificaionf fotgery of the offrctal records related to Obama. This happens in

was

of the records

those records
51

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Montgomery Blair Sidley found a record, where original date of August 7, 1961 was

Based on the pattern

of the original vital records, which are essential in removing


a

Obama from office and criminally prosecuting him, rapidly disappearing, there is

Harcy

J. Bounel will be eithet destroyed or falsified the moment Bush appointee

Commissioner

of Social Security Astrue

leaves

in Februaty

Obama appointee. Due to high probability

altered Plaintiffs are asking this court to issue and expedited DefaultJudgment against

the Defendant Obama, aka Soetoro, aka Soebarkah and order expedited post

Connecticut SSN xxx-xx*4425.

Respectfi.rfusubmitted

/s/

Dr. Orly Taitz ESQ

Attorney for

FR

UN Nations committee for civil rights defenders

OHCIIR in New York Ul[ Headquarters


Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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cc.

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Pla

ntiffs

OF

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judgment discovery, which should include the production of the original SS-5 for the

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of

essential evidence being destroyed or

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and

high probability that the SSA application SS-5 for the Social Security number for

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visibly erased and Augusr 1, 1961 was writterl over

it (trxhibit

3).

is replaced by the

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New York, NY 10017 USA

Inter-American Commission for Human rights 1889 F St., NW, Washington, D.C., USA 20006

FR

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OF

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Judgment

Congressman Bob Goodlatt, Chairman of the Judiciary Committee House of Representative 2409 2157 RAYBURN HOUSE OFFICE BUILDING, WASHINGTON, DC 20515

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6

Darrel Issa Chairman of the House oversight committee 2157 RAYBURN HOUSE OFFICE BUILDING, WASHINGTON, DC 20515

Grinols et al v Obama et al Notice of Default and Request for Default

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PROPOSED ORDER

Case

at hand was file on t2.L2.20L2. Defendant

BARACK HUSSEIN OBAMA, AKA

in his capacity as a candidate for the U.S. President. Defendant was served by
SameDay professional service processer on O1,.04.2013. Defendant was under an

obligation

0L.25.2013. Defendant failed

to file an answer or a responsive pleading and is

currently in DEFAULT.

Complaint and 100 exhibits provided by the Plaintiffs provided the following
evidence, which was not refuted by the Defendant:

1. Defendant Obama never lawfully registered with the Selective Service and

and as such defendant is not eligible to work in any position in the


executive branch of the U.S. Government, which of course includes the

FR

IE

Chief Executive- The U.S. President and the Commander in Chief of the
U.S. military. (Sworn Affidavit

ND S

the selective service registration represents a computer generated forgery

OF

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to file an answer or a

responsive pleading within 21 days on

of Jeffrey Stephan Coffman, the

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BARACK (BARRY) SOETORO, AKA BARACK {BARRY) OBAMA SOEBARKAH was sued

lnvestigator of the Special investigations Unit of the U.S. Coast Guard (ret)
Grinols et al v Obama et al Notice of Default and Request for Default

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Judgment

Chief

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and former special agent of the u.s. Department of the Homeland

President, while knowing all along that he is not eligible for any position in

the Executive Branch.


2.

Defendant fraudulently ran for the position of the U.S. President while
using the last name Obama, while in his mothe/s passport records he is

listed under the legal name Soebarkah. As such Barack obama was
unlawfully elected, confirmed by the U.S. Senate and sworn in by the Chief Justice John Roberts, as legal entity "Barack obama" does not exist.

Defendant failed

to

provide any proof

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of legal change of

Soebarkah to Obama.
3.

Plaintiffs provided this court with the copy of the School registration of the

Defendant from

OF

the Assissi School in Jakarta, lndonesia, where


Defendant failed

TH

evidence of Change of Citizenship from lndonesian to American. Even if he

were to legally relinquish his lndonesian citizenship to American upon his

FR

IE

arrival from lndonesia in 1971, he would be a Naturalized Citizen and not

Natural born as required by the Article 2, Section 1, Clause 5 of the

ND S

citizenship

is listed as lndonesian.

Constitution.
Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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to

Security). As such Obama fraudulently submitted his candidacy for the U.S.

name from

his

provide any

U.S.

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4.

OCON, official certification

of Candidate signed by the Chairman of the

Senator from Hl) and the secretary of the Democratic Party of Hawaii Lynn

Matusow was

flagrantly falsified document, as required wording

"eligible according

to

provisions of the U.S. Constitution" was removed

from the Certification, whereby there was never a valid certification of the
candidate, which showed an intent to defraud and fraud on the part of the

Defendant and aforementioned executives of the Democratic Party of


Hawaii.

5.

Defendant

himself posted his tax returns on the public web site

WhiteHouse.gov, one of the most travelled web sites in the world and did

not flattened the PDF file, therefore full, unredacted Connecticut Social
Security xxx-xx-4425, which he used in conjunction to his 2009 Tax Returns

world. This Social Secuirty failed both E-Verify and SSNVS (Social Security Number Verification Systems), two systems of verification of the Social

FR

IE

Security number, showing that the number that the Defendant is using in his tax returns was never issued

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became available to millions of the U.S. citizens and citizens around the

OF

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Fraud, ldentity fraud and Elections Fraud as defendant ran for the highest
Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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to him. This represents Social Security

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Democratic Party of Hawaii Brian Schatz(recently appointed

to the U.S.

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office in the U.S. government without possessing a valid Social security

States of America
6. Plaintiffs provided sworn affidavits

of Sheriff Joseph Arpaio, lnvestigator

Mike Zullo, Typesetting expert Paul lrey, Adobe-lllustrator/Computer


Graphics expert Felicito Papa, scanning machines expert Douglas Vogt and

others, which show that the alleged copy of Barack Obama's alleged long

form birth certificate represents a computer generated forgery, while


Department of Health of Hawaii refused to comply with any and all federal
and state subpoenas and never provided to any judge or jury or expert an

original birth certificate that they claim to possess. At this point there is no
reason to believe that the original 1961 type written birth certificate ever

OF

TH

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existed, as there would not have been a reason

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forgery, if an original birth certificate ever existed.

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to

7. Based

on all of the above Default Judgment is

GRANTED. This

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number, one of the two basic ldentification papers used in the United

create a flagrant

court

is

forwarding its findings to the Chairman of the Judiciary Commission of the


U.S. Congress

IE

for determination whether the Articles of

impeachment
(BARRY)

FR

against Defendant BARACK HUSSEIN OBAMA, AKA BARACK


SOETORO, AKA BARACK (BARRY) OBAMA SOEBARKAH are justified.
Grinols et al v Obama et al Notice of Default and Request for Default Judgment

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Based

on the unrefuted evidence by the Plaintiffs this court makes

AKA BARACK (BARRY)


SOEBARKAH

SOETORO,

AKA BARACK (BARRY)

was not eligible to the position of the U.S. President and

Commander in Chief as he is a citizen

of lndonesia, who ran for the U.S.

Presidency based on fraud and misrepresentation and using either forged or fraudulently obtained identification papers.
9.

Plaintiff are entitled


discovery.

to their

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costs, attorneys fees and post judgment

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TH

So

ORDERED

and

ADJUDGED

of

Chief Judge U.S District Court of California Morrison C. England

FR

IE

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OF

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on

finding and Declaratory ruling that Defendant BARACK HUSSEIN OBAMA,


OBAMA

this

Grinols et al v Obama et al Notice of Default and Request for Default Judgment

11

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l, Lila Dubert, am not a party to this case, I am over 18 years old, I attest that the attached Notice of

Default, Request for Dpfault Judgment and proposed ordered were served on all parties in this case on

/s/

Lila Du

Distribution List for Proof of Service

Defendant Governor of California


represented

by George Michael Waters


Department Of Justice, Office Of The Attomey General
1300 I Street Sacramento, CA 95814

Defendant
Secretary of State of California

TH

OF

Defendant
U.S. Congress

Defendant

ND S

Barack Hussein Obama

FR

IE

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represented by represented

represented by George Michael Waters (See above for address)

by Edward A Olsen, GOVT


(See above for address) LEAD ATTORNEY ATTORNEY TO BE NOTICED

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916-323-80s0 Fax: 916-324-8835 Email : george.waters@doj.ca. gov LEAD ATTORNEY ATTORNEY TO BE NOTICED

LEAD ATTORNEY ATTORNEY TO BE NOTICED

EdwardA0lsen,GOVT
(See above for address) LEAD ATTORNEY ATTORNEY TO BE NOTICED

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01.30.2013 by

ECF

First class mail

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EXHIBIT 1

FR

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OF

TH

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BOUI{EL RANRSONJ

,iffil

BOUNEL

Grndffi U SStl:0.126&)d)fi

cscone
RELATIVES

!.1

AAREACK H OBAIA
SARACH H OBAUA, BARACX H OBAMA" BARACK OBAMA, BARBACK OBAHA, OEAMA BARACK

riE-l
f:-l ri-

227 6TH ST NE

0?E{x)52OOO?

Alllss:

WASHINGTON DC

1znoffi
11t2006

5046 S GREENWOOD AVE

cHlcAGo,1L60615
MASSACHUSETTS AVE NW WASH|NGTON. BC 20001
3OO

DOB:08/1961

0912006

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5450 S EAST VIEW PARK

,.,... RELATIVES

Apt. I

cHtcAGo, lL 60615
7436 S EUCUO AVE

Cell Ph#els) Arnilable $

cHlcAGo. t160649
365 BROADWAY

Ail Al

SOMERVILLE.

MA02I45

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098006
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Grod$ M ssl* 042{&xxxx G cscoce

tlaf Awtls$e

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A[,rsB: HARRISOIU

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EXHIBIT 2

FR

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OF

TH

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(41 of 162)

I R F

S D N E

F O

H T

O F E

B G

W O

.C

M O

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EXHIBIT 3

FR

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OF

TH

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MonrcoueRv Blern SrsLeY,


PLAINTmF,

Casr No.:12-cv-1984

vs.

ATEXeNDER, DoN R. DrNeN RNo WrLLrnrra LrGHrroor,

DrrsNoaNts.

Court for an Expedited Order directing the National Archives Record Administration ('NARA") to produce and release the original

I-9 arrival

of Barack Hussein Obama, II, and which NARA has claimed are documents protected bythe Privacy

grounds in support thereofstates:

BacrcnouNn

Sibley has served subpoenas duces tecum which seeks Mr. Obama's: (i) Social Security
number application, (ii) Selective Service number application, (iii) Passport application, (iv) Harvard

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Law School and Columbia University admission applications and (v) the originals of the two (2)
Certificates of Live Births that he has publicly released. Attorneys have thrown up a number

OF

TH

Act of 1974 codified at 5 U.S.C. $552a, and (ii) for expedited consideration of this Motion and for

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Plaintiff,Montgomery BlairSibley("Sibley"),pursuantto

records describod herein which relate to the nationality

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5

YvrrrB

Srcoxo Morrou roRORonn ro Ru,Base Pnrvlcv Acr-Pnorrcrpn RrcoRDs AND Expnnrrnp CoxsmnnarroN Basnu UpoN Pntu.n Fe cE EvtoENC E oF DEsrRucrrou or EvrorNcr Rrl,arBD To Onapra's Brnru
PLaTNTTFF's EmpRcnNcy

U.S.C. $552a(b)(11), moves this

procedural objections to allowing those records to be released which issues are pending resolution

FR

IE

before this Court.

However, one set of records subpoenaed that Mr. Obama's attorneys failed to block were

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of

UNrrro Srarns Drsrmcr Counr FoR THE DrsrRrcr or Cot,uMnrl

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those kept by the National Archives Records Administration. The records released pursuant to that subpoena is troubling and raises legitimate concems about Mr. Obama's past and thus his

to be President under Article II of the Constitution.

Pursuant to a subpoena duces tecum, NARA made available to Sibleythe "Arrival Records" for August
1

through August 10, 1 96 1 , of all passengers arriving in Honolulu, Hawaii. Sibley sought

these records given the date of Obama's

birth on his publicly-released Certificate of Live Birth of

August 4, 1961 in Hawaii to see if he and/or his Mother arrived during that time-frame. If they did,

it would prove that Mr. Obama was not born in the United States and as such is not a U.S. Citizen.
The significance of this "ar/rval form" evidenced can be seen frcm the arrival record of a
three year old in Honolulu on August 8, 1961, a copy of which is attached hereto as Exhibit

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That arrival record indicates the citizenship of the child.

What NARA produced on December 13, 2012,werc two microfilm spools of the arrival

recordsforJuly23throughAugustl,lg1landAugust8throughAugust12,196l. Attachedhereto
as

Exhibit

o'8",

is a photograph of the boxes those two microfilm spools are stored in which show

TH

appears that "white-out" was applied and anew date was written over the original date of "August
7

OF

the dates the spools

cover.

Even more significant, the date of "August 1" has been altered'

on or about March 22,2012 which reveals the date was originally "AugustT,196l". Thus,
indisputably the box has been tampered with

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,lg5l- . Proof of that alteration comes from a photograph of the same box taken six months

criminal offense.

Moreover, the microfilm of the Juty 28 spool ends on August

l,196l without

FR

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"end

ofroll"

that other microfilm spools evidence. Simply stated, someone appears to have tampered

with the documents material to the question of the location of Obama's birth and altered NARA

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eligibility

"A".

It

before

the notice

of

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records to conceal that alteration. The records for August 2 through August 7, 1961are missing.

Title 5 U.S.C. $552a(b) "Conditions of Disclosure" states: "No agency shall disclose any
record which is contained in a systemof records by any means of communication to anyperson, or

to another agency, except pursuant to a written request by, or with the prior written consent of, the

individual to whom the recordpertains, unless disclosure of the rrcord would be . . . (11) pursuant
to the order of a court of competent jurisdiction."

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will

Here, the "relevance" under Rule 26(b{1) of the I-9 arrival records related to the birth

Barack Hussein Obama, II, are manifest as such records nationality" of Barack Hussein Obama,

will

reveal the "evidence

IL

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That "evidence"

address the seminal question

whether Barack Hussein Obama, II, is indeed a "natural bom Citizen" eligible

clause 5 of the United States Constitution

to be President. Upon such determination of

ineligibility, the Defendants will be legally barred from casting theirTwelfth Amendment votes for
Barack Hussein Obama, II.

WHEREFORE, Plaintiffrespectfullyrequests an order from this Court punuant to 5 U.S.C.

original I-9 arrival records described herein. Given the evidence of tampering, Plaintiffrespectfully
requests expedited resolution of this Motion.

ND S

OF

$552a(b)(11) directing the National Archives Record Administration to produce andrelease the

TH

Ruln

12.I(,c,)

Sr.lrrlrnxr

The undersigned has consulted with Defendants' counsel who has indicated that he does/does

not oppose the reliefrequested herein.

FR

IE

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of
of the U.S.

of

under Article II,

$ 1,

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Cnnrrrrclrp

oF Srnvrcp

I HEREBY CERTIFY that a tnre aild accurate copy of the foregoing was served by U.S. Postal Service first class mail this December 19,20L2, on Andrew J. Saindon, Assistant Attonrey General, Equity Section, 441 Fourth Sfreet, N.W., 6th Floor South, Washington, D.C. 200At, Telephone: Q02)72+6643, Facsimile: (2A2)730-147A, E-mail: andy.saindon@dc.eov. I declare under penalty of perjrny that the foregoing is tnre and correct.

Plaintiff

4000 Massachusetts Ave., N.W., #1518 Washington, D.C.20016

QAD 478-A37t

FR

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OF

TH

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By:

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Montcouunv Br,ern Smr,rv

Montgomery Blair Sibley

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MoNrcourRy Blar

n SrnLEY,

Cess No.:12-cv-1984
PLAINTTFF,
VS.

Onogn oN PLatxrrrn's ElrrncrNcy Srcoxo Morrow roR OnneR ro Rnr,BasB

Yvsrrp AlrxeNoeR, DoN R. DmaN aNo Wrlrnu Lrcurroor


DsrpuoaNrs.

THIS MATTER came on to be heard on Order on Plaintiffs Emergency Second Motion for
Order to Release Privacy Act-Protected Records and Expedited Consideration Based Upon Prima
Facie Evidence of Destruction of Evidence Related to Obama's Birth and the Court being advised

in the premises, it is hereby:

ORDERED AND ADruDGED that the motion is granted. By the authorityvested inthis Court by 5 U.S.C. $552a(bXll), the National Archives Record Administration shall forthwith

possession relating to the arrival records in Honolulu, Hawaii for August

OF

produce and release the original I--9 arrival records to Montgomery Blair Sibley all records in its
1

TH

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_
By:
day of

DONE AND ORDERED in Chambers this

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Montgomery Blair Sibley Andrew J. Saindon

IE

Copies to:.

BO W
_,2012

PRryacy Acr-Pnorpcrno RrcoRDS AND Exprcolrno CoNsronRauoN Basrn UpoN Pnwe Fecrc BvrneNcr or DrsrnucrloN or EvrorNcr Rrclarro ro OsaMl's Brnrn

through August 10, I 96 1 .

United States District Judge

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Uurrno Sr,lrrs Drsrnrcr Counr roR THE Drsrnrcr or Cor-uurr.l

Case: 13-70744 02/27/2013 ID: 8530853 DktEntry: 1-2 Page: 47 of 161 (48 of 162) Case 2:12-cv-02997-MCE-DAD Document 64 Filed 01/30/13 Page 23 of 25

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Case: 13-70744 02/27/2013 ID: 8530853 DktEntry: 1-2 Page: 48 of 161 (49 of 162) Case 2:12-cv-02997-MCE-DAD Document 64 Filed 01/30/13 Page 24 of 25

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Case: 13-70744 02/27/2013 ID: 8530853 DktEntry: 1-2 Page: 49 of 161 (50 of 162) Case 2:12-cv-02997-MCE-DAD Document 64 Filed 01/30/13 Page 25 of 25

drArc#s*i

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 50 of 161 (51 of 162)

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 51 of 161 (52 of 162)

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 52 of 161 (53 of 162)

I l reply rderto: l

W have w&eW s search for mm& respomiva to your r q u e e The sa&resulted the* d ofsix doGwmb are reapcmdve to R W ~ W of &% d0=bX We h~ m & W.

w did not looate a 1965 p@ortappbtim mfizmced in an e

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Passport ~ r d QpMy ~onsist spplimtions k UUrirted States s of r and supporting m i d w e of fZ&W S W citbmship. Pastpmt m d s da n& inch& & d f W -sr vi5w, r e s i a ~ permitsI a, this infbfimtim is a & into Z e as m e she& & h p sp b a is-= o-

ND

applitadofl far a m m h t o f p a s m tlult is i n c in~ ~ the -e-d documents. Many passpert iipabtims and o h r non-vital mods @am te that periodwefe destmyed during t 1980sin a a m h w with g u i b w b W n the G m d Sewiceti Administastion.

OF

*z a y W m 1 d i n f d l . &d~~n

TH EF

The following is in respmmto w g q e o t to the Deptmmt of r! m5uNmmkqaD&m*bd-ofm&fid~the; p v i s b m ofthe Prwhrn of Mrmb Act (5 U.S,C. 5552). 6

OG

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CMFT/ULE - h i e Coawl Nun& 2UiB0723

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 53 of 161 (54 of 162)

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 54 of 161 (55 of 162)

audsht s U r t 6 A U No. 47-RllT.S

FORM APPROVED

APPLlCATiUN FOR

AMENDED A S REQUESTED

ND

E be+ m m @ ~ ~ L + ~ h + i # & ~ @ ~ W&thet t 1 *~ 4irP%cmcm* & h& &&a*WMW~es-gij stare; e n m 6 m m h m a r * m i h rn m . ~ a ~ t C d c i w e m v t a fo+* h d &weomof d ~ ~ i m i c c r +rti&P -%o +mrtd w suy$$p die d form-of a fbr* a~atsi; c p p t ard ~ ~ erf-d rhe &ties af arky &wr pqw, q alp rhs ~ * ~ i n t a r m k e i g a st* & p o l l i c d s ~ b a h l a i o n a f heteof; voted ia potiticd eieaian i a B fnr&n stere or pap plepmzat ad*& i = ClrplDn q p-,lo q Lbe .-m.osq m= i r fomd*rir(a o f n t i ~ ~ l i @set tn i t ttni~ed n k rates crr Lime a-dhpl~~at3.cmsulardWcw of tke Unite Ssr+r i a ~-I$EP tifacc; CVI smghl:w claimed or n bane fizs of , E r~rtrhudt.rp & nfstuy b&gm ,smt; or-tmmictrd %s c o w w k n u r z martis1 of r a m p a e n r ~ & E & c I ~ ~ Pmhmktinyan$ acr of of u-'s~a agaim+o agtmptine by Fmce r4 almnhhmw, QF kaeiag arms &g~- thc Udtd State, os -$pitis& m wmkow, alrr down r UI r a , ~ , b , t O q e i ~ * ~ ~ th*q%&etl SnqEq t . d fff m y of k sba-iand a t s or concfiHwr tvrw hsen am-krmed b w w l y to the c p p l l G t , or SO my a # w R-UI incldd W+RS dl.uldb. n d o u ; d . r. k 8 m q -M -qt& s rh. pe r , ~ & w i o h ~orfian )o iWi% h~ ~ H S T S l i & o ~ h . & d LP &&d m& &ti* ~ d md # ~+kr e $ (qr d U h & i ~ ) Lp .

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 55 of 161 (56 of 162)


PAGE

1
NAME

A M E N D T O IHCLUDE ( E X C L W O E I tWIFEI(HUSBAND)
BIRTHPLACE

BlRTHOATE

I
I
I

DIVORCE:
DISPOSITION O F M Y SPOUSE'S PREVIOUS PaS5DORT

ATT*CHED

Cj

CAHCELED
LnATFI

BO

W
AMEND T O A E A O

.C
IN
MARRIED HAME
PLACE MARRIED

AMEND TO INCLUDE I E X C L U O E ! CHILDREN

OM

"REVIOYSLV

MARRIED T O

P R E V I O U I M A R R I A G E T E R M I N A T E D 81
DEATH

DATE MARRIED

MARRIED TO

FO G

CITIZENSHIP O F H U l e A N O

[7 U.

9. C I T I Z E N

ALIEN-CITIZEN O F

OTHER RMENDMENT~S~ (DESCRIBE IN DETAlL A C T I O N REQUE5TEDl


I

DOCUMENTARY EVIDEYCP SUBMIT TED Y a DEP&RTIAEhlT B Y C D H I U LAR OFFICER

DOCUMEHTARY EVIDENCE SEEN AND R E T U R N E D T 0 A P P L I C A N T B Y C13HSULAROFFICER

OF

STATEMENT O F ACTION BY POST UPOH DEPARTMENT'S AUTHOR1 ZATIOH (70 h eaecwtd only In c o n n c d o n 4 t h costs r e f a d to Dcpt.)

TH E

I
X

THE

P A SS P O R T
C4RD O F IOENTITY

RENEWEO TO

09TE

WAS

[3 A M E N D E D

4 5 REQUESTED

1 1
I:
i
I

AUTHOR1 T Y

(Consul OPINlQN OF CONSULAR O F F I C E R

*I the U n i d S t ~ e s f A r n r r l t f f ) o

STAPLE ONE P H O W HERE DO NOT MAR FACE

ND

(Y born ? e ~ ' ? c d irarlmiensJ /ot

t
I FJ 3 : 3

2
k n:

IE

1*

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Thc passpon photos requifcd must bc approxirmtdy 2% by 2% inches in r i i c ; bc on thin unglazed papcr, s b w lull front view of applicant with a plain, lidht background: and h a w been taken within 2 years o f &tc s u b m i r t d . When dependents asc inc l d r d they should be shown inaproup photograph. The consul will nor accept photos rhnr e r e nor z gmd likeness. Color photo-

graphs arc acccptablc.

1"
FORM , . , o a

(Consul o f ihe Unitmd Stales ef Arnericol

I n certain c a s e s specific auihorizatiom by the lllepaltmcnt will bc rcquized. In chcse r a s e s an extra copy of rhe form should be prcpnrcd. L'pon receipt of ihc Pepnnmcnt's rcplp the t x r r n copy should bc rtaasmittcd mith a nota'ien o ihc scrion inken+ f

Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 56 of 161 (57 of 162)

FR IE

ND

OF

TH EF

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BO W

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Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 57 of 161 (58 of 162)

L~ZBARTMENT STATE QF

WEWaT BY UNITED STATES PIATIQflAL FOR ktd0 REPORT OF EXCEPTION TD SECTION Bfl,TITLE 22 OF THE CODE OF FEDERAL REGULATIONS

TC

D~mema,P a ~ s p m P~GCQ
ITqamncfit of Sase

Wa+imran, D, C. a 3 2 4 rt-tm; FTJM


rt6BJECT

.W M E

IQEERIPT~DPI

OF

TH

&f&SP

20, 39'71 D

, 5&&nsb

PLl@#T NUMBER OR VEMEL

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IE ND

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% ~ p a & 8s shorn above
DF m R R RI ' E
.-

--

- -.

PLACE flnmhpaf*lc

W I Wurmlt~&tio?t ~ 5m?e#]

SCIN~TWREf lmm iusafim Q f f i s t t

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5 x 6 ~
-

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REWST 4-r~ ' c k e n rfifomd that m). PBSS~W~, i Q ~ d i d d thgr a valid pasispart is required by Irw m dater the s F tTr:red Srnr*~. reyrasr chat aa ezeptt~11 gwted w me, as ~ r a ~ i d e d% o 1 be in & n 5 . ( 1 +Tide 22 09 &e Code 32h, t r 6 i;rJem1 W ~ ~ ~ F P ~ * I D P ~ I kadgrs~aad& a ~ fee aF $25 is a?qakdWder SeeSon 53JfhJ and t w i d r a d r such h e B & h* PYY+@~C CiSfic= DepSmmt d &areqW w b i n g i m , D.

Case: 13-70744

DEPARTMEN l O F STATE

02/27/2013

ID: 8530853

DktEntry: 1-2 ,Pusspart O f f58 U s s161 (59 of 162) Page: i c e of Only)


7

FORM A'

3VED

BUDGET B U R E A U NO, 47-2059.

-,

APPLICATION FOR AMENDMENT OF PASSPORT

Amend a s shown

in

snctionr

requests for inclusion nf pergons must be sworn to (or ofFirrned) 5sfare an Agent of the I ) e p ~ r t . m e n t F Stafe or Clerk of C o w t . Photogro hs. which meet tha O requirements below, and avidsncs of c r t i z e n h i p must be submifted i&r d l parsons to ba ipcfudsd by this amendment. It such persons L a v e had, or bssn included in, a prsviqus paraport, i t should ba s u b r n l ~ a dInatscd o f ather docurnants. und Section G tomplmted.

INSTRUCTIONS: All

El5 Add visa

0 0

a=
pngss.

F I E

P3
SEEM
I W I FE'SI
CERT-

-PASSPORT NO. O F A P P L I C A N T

1 DATE 155UED

BIRTH tERTIFlCATE(5I
CHILOIREHI'S

M t R R I A G E CERT.

t l TY

STATE

rn

I CARE OF N

(PLEASE P R I N T N A M E I N F U L L )

1,
af

t h s United Motas, do h sb

lndicnted

below.

9 / y

rs usst that

h/7

my passport, which i s snclossd, bs amended o s

INCLUDE MY CHILD(REH), A S FOLLOWS: (Also cornpletn Sect+on H +f child(ren)


citizenship b y noturolizatibn, and have not hod a previous passpott.)
NAME IN FULL

BO W
w

( F i r s t nwra)

(Middle n a m l

( L o s t nanej

acquired

.C OM
INATZ'N. 1

tHUSBAPI0'~)

-'R -

"o " t

-quiremem+s

for

~ ~ C I U S ~ M ~

PLACE O F El R T H (city, St&=)

DATE O F B I R T H

OG

II
<

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1

STAPLE

ONE PHOTO HERE DO NOT MAR FACE

I u

r w

Photos must be ONLY of persons +a bm includsd b y thi s omsdrnant. Ths t w o p h d o s must be duplicutes. u p p r n x i m ~ m f y by 3 inches in size; bs on thin, unglozed

TH EF

INCLUDE MY (WIFE] (HUSBAND), AS FOLLOWS: (Also aornpltts Section H if (wife) lhus bundl acquired cit lzsnship by natwollzotion, and/or Section I if wife w a s prmviouslv horr~sd &for; Marrh 3, 193l.j
(WIFE'S} ( H E B A H D ' S ) FULL LEGAL N A M E

PLACE O F B I R T H (City, S m h )

paper with a plmin, light b c k g r w n d and hove bemn tatsn within 2 vows of date I submittad. Photos should front VIEW, m but n e t full-langfh, and m y not L s n q she?, Pol arold, =atme or film bass prints. When more then 1 person i s t o he Included, a group ~ b t i s roquirsd. Color photos o arr occsptnbls.

&=

DATE OF B I R T H

D A T E OF MARRIAGE

DO NOT STAPLE SECOND PHOT0 ATTACH B'f P A P E R C L I P

1
7

EXCLUDE PERSCNS, AS FOLLOWS:

WHO I S / A R E

0MY
-

CHILDREN

(GI* n&J)

CHANCE T O READ I N M A R R I E D NAME, A 5 FOLLOWS:


-.. .
A

PLACE

O F MARRlAc

W A N G E TO READ AS FOLLOWS:

FR IE

' ~ C H I L D ~ R E N ~ * S ) FE'SI IWI


NUMBER

ND

-.

~ H U S B A N D ~ SLAST U, 5. PASSPORT I
D A T E ISSUED

OF

OHY WIFE

[=I T O

A P P L Y FOR SEPARATE PASSPORT

I N NAME O F

UI9 S U B M I T T E O HEREWITH

0OTMER
(OVER)

DISPOSITIOH

(rim*]
-

Case: 13-70744
TMROUDH WTU%ALfZATWH

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 59 of 161 (60 of 162)


ClTILEMs)+fP

tQ 3E COMPLETED BY AFI A P R L r M T R WETTING IWCLUSlBt4 IH THE FAGPORT O F A% E RELPITIY E'WHO - E @D

1.

TQ B E CQMPLHED BY AH APILICAHT WHOSE Wl FE %'& PREVIWSLI '~IRIEo BEFORE M A R C H 3. lml, ANQ W O IS TO BE INCLUDE? [el F I - m D R f (If &wi*d M U thwr tweq, e forth t w fn v wp.L-tal t h mrarm~). ukze o r ~r(crlsbUs yn&hiie HER M*YE WU

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STATB

' P O ~ B R HUS~IMWS Pcace w m t R f n


-

M A M I M E Y 4 8 TaRMINATEO Sx

DATE

{a THE

EVENT

DEATH 0. AEE~QENT NOTIPT


U L M S 1 PULL u

REL*TlDMYWf

BO W
DlrYQRQL

[3 DE*ll+

STREET A P Q R W ,

FR

IE

ND S

OF

TH

1 sdemlly s m (dim) ht m a t a t s h i d e art enrc m d tbar I h m e ~ c previoarly a a k d ta h ~ v M e addi. rbe & m u e &td perseas b c I o d d i * y @ w w lb a t drey we m ROW in pssesaiea df valirEpsspa@p,4 n t that Q w h ~ e made wliwt e d o n for passp~ttsd bccn t e w d -

EF OG

I h*e nor (arid q~ whet ,ptrson h d & d o ts khclnded io dt* p q o r t has), &ce at k g United &axes citirmstJp, r h e n s=rurrllizsd ar; a e i f i z ~ l a fareign aar~ n taken rn oath w made w d t i r m ~ s n e r wl ctechmidtl qf Pttgimtc fo 0s n entered b@ip s-d i a &c m e d hrtrs uf ma foreign mate; r-aed nr p a f e e d h e &ties of q ~kfiee,posti sr rmploy~wnr -dm &e $""went uf w &ti@ s w e o p ~ i i e c a~ M ~ i s Q-t; r l b n Y Qi ~ n ap&ti$d eieorbb h a b + r or p&&pin fi erctia ar pletj~d trr tIem.hc the mmeignc;gaver 4 4 k t q ,& & a d t~aunci*tianbf n3um=Ite d a ;m iq either ua tb* U m e d ? t ~ s , , w W f a r i dipl~at2r = d s ~4tm &C &zed SD==S in a &lpn a q ewe a g h r pr dSm* . r c ? . ~ ~ ~ a e f l r a d & e n ~ o n & ~ o f ~ & * i ~ ~ ; s r b ~ ~ c ~ a B ~ d b y a c s ~ r t toj u r ~sm ~ei ~ n o~ c ~m n r i di dB P f f ~ mi+g a a 01 n.1w C I ~ ~ W m we-q, w u n -3s rs h e, & U or m.pixiw t . orwdusw, pur down ar i t j d e s q & b9.rt%, the Gbv.cmmlnr of rhc Uaaited States,

Case: 13-70744 02/27/2013 - PENCIL 8530853 J A B t E j ' - 1-2 ID: NOT A C C t P DktEntry: ' (PLEASE PRINT OR TYPE

I
a

DEPARTMENT

DF STATE

- .

Page: 60 of 161 (61 of 162)


I
I

LarT,oN
POST ACTION

Jakarta. Indonesia

1 I

For Deparhent Decision

June 2

76

Ex,,,,,

TO BE CONIPLW BY AN APPLICANT WHO BECAME A CITIZEN THROUGH NATURALIZATION


1IMMtERATEDTOTHEU.S.IREStDEDCO~TIFIUDL?SLYINTHEU.S. From ( Y e a r ) T 0 [Yaar) (Month, y*ar) NATURALlZATlOWCEFITIFICATENO.

EF OG BO
USubmrlted hersrirh

0k e n and t d w n e d
0Previau.ly

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aubmittd

11

PLACE NATURAL ZED (Ciry, starel

NATURAL1 ZATIDN COURT

DATE NATURALIZED
I
1 I

COMPLETE OHLY IF OTHERS ARE TO B INCLUDED IH PASSPORT OR REGlUMTION AN0 S P M K GROUP PHOTOGRAPH E
IWI FE'SJ(HUSBAND'SJ FULL LEGAL N ~ M E
PLACE NATURA LlZEiJ ( C i t y , ~ t u t e )

TH
1

I
I

NAfURALITATlON

N A T I V E BORN

NATURALIZdTlON

' L

NATURALIZED

u s e e n and mrurnnp

COURT
DATE US BIRTH (Ma..
-

I
I

DATE NATURALfLED

I W l ~ d 5 1 H U S B A N ~ ' PLACE OF BIRTH Iclty, Stat* ( ~)

OF
ur

Provlnc-, Enuntryl
-

Boy, Y m r )

- ..

I
DATE OF B I R T H

--

..

---,

NAME IN FULL OF CHlLDRFH IMCLUDEO

PLACE OF B I R T H (City, s t ~ T p r o u i n c o ,cauntw)

RESIDED I N U.S. (From-To)

IE ND S

-- -

.-

C A N C E L E O O? OTHER DISP3SlTlUN

EVIDENCE O PRIOR DOCUMEHTAnON DF ABOVE-HAMEI) PERSORS TO BE IIYCLUDED (For completion by Colrsular Dfficel F
NAMES
PASSPORT NO.
D A T E OF IS SUE

LOCATION D F OFFICE

3 A T E OF REGISTRATION OR BLRTH R E P O R T

FR
I

OTHER E v i D EMCE OF V.5. OTIZCN5HiP PRESENT m TState dirposttlwr)

Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 61 of 161 (62 of 162)

,PP.TW~EF~.UEEA"ED
F~THEZ FS$D~~JG AT

FXHM

u s s i m ru r r , ~

rmm

z4 3 R

Pj?&sS&& 7
m . ~ . ~ ~ ~ ~ ~ ~ f

MPTWER'S MMD& M M E

M ~ D L L Y N MYAK
P M C E MAT URALIZEUGI*, S-ha

D4TE NATURALKC@

%Ca.WtWWlqmlaZ~~8PYebllRIM0fm3hn n ~ a r p i ~ a a I 1 * l i ~ 1 m ~ ~ ~ 3 ~ a ~ ~ ~ w c i a Y m ~ w ~ i ~ i 1

a :

or cq~ina awguax.)ddan w lodeshy gy l m ; ~ o t x ! m r naa~unit6dw& IQ ~ l


araM
m m k m p w r d r k l s ~ t ~ ]

waWorrlJc~1cm~ubrdaieet~th8MW~~, ah~@a~~~solrgtli$~~iaid~he~ibgftk~~m~i~daay#oreigns~tat$;m t ld WHhrmi w Wg Irmswimt,thl Ufllbl Lbs i cslqar y f r l n#s( alunebn)iul&~d6Pnnr ~ y . a cBhsan a&%,x &h&rtp by

OF

WARNMQ: ~ a sabmwr#Pazkhndqglyi ldflttlh @WtW l ~ m h #Mum er in & a b nr otket ~upmrtli~c m m s m r c e a m a a~ grmmlwre 9 dM m ar wn k d wl /or 1 & andsr he prnvtsio~s 1 DSS: of 8 w ~ l& USC UQ. Ahation w mtttllatim of a pr imwtpufiuaat$ # l w l &oi pmlsbIa 1c i n s $I hWDF k m e !unQermtfte I F o An w Wiskrs.ef18 11% tH3- W u s a d a mwodTn UbI&n of !tip Wetrow cmihU th&o k sf lhe ps a mgdaapr k finas Isptmkisahla tr)l tiw mdJw imPrrwentuoder U ~94. * ,h#nat ahdf~ll&&@!+wincWinb plie@ionhas)I Jnqmuir~~gIJwlW~ciK~b,~mn~mlizedasadlirtlndrferaign~te;~~s m a h r n ~ a n o r s * + ~ w m a f k l a r r l n ~ i l ~ r i * l l r i s a ~ r D T m ~ O r~ t~ c & d ~ h r ~ i a ~ n sbkuwredor @mdWduWd

TH

FR

IE ND

En ~i m

t o b e t dedklIllsC~a

wear (or a ) & I &emtb W #I all C p p v f Ibis . ~ ~ l ~ ~rt 1 ntbt the p o & r mat + m a r Bh 1 kb

f l f q d t h ~ m m & ~ c r r d b b h , p ~ b y a r s g p r y w & Iw * &A* d d d h - d u J ~ ,d * U l i * I M e b p l m & * . l a r

EF OG
s d
i~&orwaryr[t+

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b w 1 M 1

E k h l b * n~ne L + tpdc~ !~i df! e s#hjw~l dn , f h + md W i ~ ~k s


&chee
is a krrrof rn a l l of t a P ~ M I br

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OM

D NQT U.L. C~T~ZEM

Case: 13-70744

02/27/2013

ID: 8530853

DktEntry: 1-2

Page: 62 of 161 (63 of 162)

FR IE

ND

OF

TH EF

OG

BO W

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T O BE COMPLETED BY AN APPLICANT WHO BECAME A CITIZEN THROUGH NAftlRALIZATIOM lMMlG RATED T 3 f HE r R E S I D E D CONTINUQCjSLY I N TuE N A T c l R 1LIZATION CERf 4 F I C A 7 E NO. J.S. (Monrh, year) U.S. From (Year) T o (Year) 0 Subm bed hermlm

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I2 Ssen and returned

Previou~ly subrnltred

'LACE HATURALISEU (Citv, statel

U 2 i l J R ' A L l Z A T 1 3 N COURT

I
TO BE COMPtEf ED BY ALL APPLICANTS
3CCUPATION

IDATE

NATURALIZED

V I S I B L E DtSTIIVGUISHIb4G MARKS

PROGRAM OFFICER, FORD FOUNDATION


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W T a P m E WLLOYVlNG fF CHILDREU OF A PREVIOCR MARRIAGE ARE WLUPED OR 1F PRVW.SlY W R E D BEFORE W W 3 " 1931 I WAS PREVIOUSI,Y MARRIED ON \ T O (Fult legal name) (WHO W A S BORN A T ( C i t y , S * t , Countrv)
[ FORMER HUSBAND WAS U.S. ClSlZEN [PREVIOUS M A R R I A G E TERMINATED B Y I DEATH DIVORCE FORMER HUSBAND WAS NOT U.S. CIRZEN l o l ~ ID-, ~ ~ N P L ~ I F A F P U C A N F D R A N Y P E ~ ~ ~ ~ ~ N ~ I D N B W P S N O T ~ N I W ~ U +If E D T H E U.S. EA {Mon~h) (Year) I F FAT HER NATURALIZED: I IF KNOWN, FATHER'S R S I D E N C E

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Date

Certiflcats No.

13 Husbsnd
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Place IClty, Stme)

RESIDP~~~CE/CONTINUOUS PHYSICAL PRESENCE IN U.S. F r ~ r n ( Y s a r T o (Yssr) j


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1F MOTHER NATURALIZED:
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PHYSICAL PRESENCE 1N U.S. From (Year) f a (Year)

IF KNOW, WTHEUS RESIDEME PHYSICAL PFlESENCE I N U.S.


To 1Year)

I INTEND TO CONTINUE TO R E S I D E ABROAD F O R THE FOLLOWTNG PERrOD A N D PURPOSE

Two years c o n t r a c t w i t h Ford Foundation f r o m January 1981


II~TENDTORETURNTDTHEUNITEDSTATESPEAMANENTLV

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December 1982.

4 YEARS 1

MONTHS

The i n f o m a t i a n ismade available as a routine urn on a need-*know ba~ke p s r s ~ n n eof the C h p a r t m e n t of S m and ethw gwwnmmnt agenele~ t l hwlng statutory o r other lewful authoriw t o maintain mch information i n t h e perfmmanfa af their officlal dutias; purarantm ambpoenr 8 r court ardor; and, ~s sat forth i n Parr 6 4 Titye 22, Code of Federal Regukitions {Sea Federal Register Volume do, pages 45755, 45156, 47419 and 67420).

NOTE: The dischsurs of your Sacial Security hlurnbw or d the identin, and locattan r ~ a p e m t m bs no~ifisd t h m went Of dmath mT rcidmnt JI f In entirely voluntary. H owwwr, failure to pmvida this in+wmadon may p r w e n t the Depanment of State f r m prwiding y w wWh rlmely armlstance or p r o m t i o n i n the went you s h w l d anceunrer an emergency s i r u a e - 1 whFle oumlde The United Stams.

OF

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T& Information snlieln?d an this f d m is authorized by but n o t limited to, tho= statutes codified In T i t l m 8, 18, and 2% 4JnimdSt.TosCodq m d *I1 pmdecmsor rt;lu.ttes wketker or n o t codified, and s)t re&lation$ issued pursuant to Ewmcutiue D r h r 11295 of August 5, 1966. The p r l m put'PUM for ~ ~ .ollciting the information Is t o esrablish citizenshipr Identiq and e n t i t l m e m to Issuance 8+ a Unlwd States P m p o n or raja& ftsllity, and t o prupetly admlnisrer and enforce tha E m s psrtaining rherato.

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(IF m y of me baluwmentioned acts or conditions have b m n parfwmed by e r q p l y t o the applieanf o t o any other p-n r t bn lncluded i n t h m a passport, the pOrtIcxl which appli- should be s m c k out. and a supplemenmry e*otanatnry statement undw oath (or affirmation) by t k e par-n t o whom t h e partion is applicable should be attsched and made a p a r t af fhiq application.) 1 have not (end no other wrron included i n ?his appllcatlan has}, since acqulrlng Vnimd S citizenship, m n naturatizedas a citlren M a f w o i g n m ; taken an ash Or made an affirmation or oMsr formal declaration 0 7 allegiance m a f o r e g n stare: enrered or mwud I t h e armad forcm nf sforeinn smm; n a c e p t e d or performed the dutiee of any office, post, o r employment under the govwnment of 8 forelgn rtam or political subdivl~ion thererrf: made s fo~rnatranunclatiun of nationality either in the United S tams or b d o r e a diplomatic or conwlar officer of t h e United S t a a s in a toreign State; svsr W Q h t o claimed the twnefirs of the netionaliry of any foreign %taw:or been convicted by a court or court rnartlal of compefant jurisdiction r committing anv a ~ of meason aga;nst. or atrsmpting by force to overthrow, o r beaing arms ageinst, t,a UniTed Stares, or conspiring t ovmrthrm, put down or t o t o desnoy by force, rhe Government of rhe United States W k R N I N G : False starementr made knowingrv and willfully i n pasport applicwions or i n aFTi&vits Or rimer flupporting doturnsnu rubrnltQdTherewith are punishabla by f i v e and/or imprlwnmenr under the provisions uf 18 USC t W and/or 18 USC 7542. Alteration or rnurilalon of a paaaort I n l md pursuant t o t h i s application is punishable by fine and/or irnprlaonmsnt under the pmvisians o 18 USC 1563. T h e use of a p a w a r t in wiolstim Of the f restriction5 contained therein or Of the p a s p o r t regulations is punishable by fine and/or imprisunment under 18 USC 1544. A lr stetemmts end documents submirwd are rubjeet m verificaricn.

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IFOR USE OF OFFICE TAKING APPLlCATlONl


I D E N T I F Y l N G DOCUMENT lS)OF WIFEIHUSBAFTD

- -

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ACTS

DATEOFDEPARTURE

PRlVACY ACT STATEMENT

OR CONDITIONS

~PPL~CANT'S IDENTIFYING O O C U M E N T ~ I
CeMfieate of Naturallzation or Citizenship PBSSPOTT

T 0 BE INCLUDED

I N PASSPORT

No.:
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Certificam of Natural-

izarion or Cirirenshlp

No.:
lreue Oa*: Plaee of ! w e : lasued i n Name of:

D ~ :9 m OE

Passpart

Urivefs Liceme

Place o Issue: f
!$mud In Name

, n Driver's

Tthur lSc;acifyJ:

C] 0rhet ( S P ~ C W Y ) :

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Amdrvll
STATE OF FLO

DA)
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COLT{TY OF l. Iclicito Pap3\ Fl- i22,14 q'it!


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AYEI'H NOT.

AND SWORN TO befqre mc on April f,8, 201 l.

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Case: 13-70744
RESELLERS OF
PRODUCTION DOCUMENT SCANNERS WIDE-FORMAT SCANNERS CHECK SCANNERS WEB-BASED DOCUMENT IMAGING SOFTWARE SCANNING SOFTWARE

02/27/2013

THEID: 8530853 DktEntry: 1-2 REPOSITORY


P.O. BOX 40135 BELLEVUE, WASHINGTON 98015

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WEB PAGES www.archiveindex.com www.wholesalecheckscanners.com

ARCHIVE INDEX SYSTEMS, INC.


IMAGING TECHNOLOGIES TO EXPAND MANS KNOWLEDGE

(425) 643.1131; FAX (240) 384-7297 For response to this letter: diehold@comcast.net

Affidavit

My Credentials

What I Discovered about Obamas Certificate of Live Birth and why it is a Forgery.

FR

IE

What the Obama administration released is a PDF image that they are trying to pass off as a Certificate Live Birth Long Form printed on green security paper by the County Health Department in Hawaii. The form is a created forgery for the following reasons.

ND

I have a unique background that enables me to analyze this document in a competent, detailed, and extensive manner. I owned a typesetting company (Nova Typesetting) for eleven years, and thus have extensive knowledge and experience in type and form design. I have owned Archive Index Systems since 1993, a company that sells a wide selection of document scanners worldwide, and which also developed and sold document imaging software (TheRepository). Additionally, I have an extensive knowledge of how scanners function and their capabilities. I have also sold other document imaging programs, such as Laser Fiche, Liberty and Alchemy. I have sold and installed document imaging systems in city and county governments, and thus have extensive knowledge of municipal and county document imaging programs and procedures, including the design and implementation of such programs. Additionally, I have a good working knowledge of Adobe Photoshop and Illustrator. These factors will be crucial in understanding what has occurred with Obamas Certificate of Live Birth.

OF

TH EF O

I, Douglas B. Vogt, am over 18 years old, do not suffer from any mental impairment, have personal knowledge in the following and attest under penalty of perjury that I have knowledge and expertise in documents, imaging, scanners and document imaging programs. Based on my knowledge and expertise the following is true and correct. The reason I have issued this affidavit and notified the FBI and other government officials is because I am compelled to because of Federal Statute Title 18, Part 1, Chapter 1 Section 4: Misprision of felony; Whoever, having knowledge of the actual commission of a felony cognizable by a court of the United States, conceals and does not as soon as possible make known the same to some judge or other person in civil or military authority under the United States, shall be fined under this title or imprisoned not more than three years, or both. Since I am the one who positively identified Obamas Certificate of Live Birth, presented to the American public on April 27, 2011, as a forgery it was my oblation to report it.

GB OW .C OM

June 24, 2011

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Figure 1. Tiff image of the Obamas Certificate of Live Birth dated August 8, 1961, presented on TV 4/27/2011.

Figure 2. Another Persons microfilmed Certificate of Live Birth dated August 11, 1961.

FR

The second incident of this parallax problem is seen in line 6c Name of Hospital or Institution (see Figure 4). The word Name drops down 2 pixels, but the typed hospital name, Kapiolani, does not drop down at all, and again the line just below drops down 2 pixels, but not the name Kapiolani.

IE

Figure 3. Line 2 of the form. Baseline differences.

ND

OF
2

TH EF O

1. Curved and non-curved type. The image we are looking at was scanned in grayscale and some part in binary which cannot be on the same image. The reason I know this is because of the shadowing along the gutter (left-hand side) is produced by scanning in grayscale. It also means that the county employee, who did the original scanning of all the forms, did not take the individual pages out of the post binders. The result is that all the pages in that book display a parallax distorted image of the lines and type. They curve and drop down to the left. If you look at line 2 (see Figure 3) on the form that says Sex you will notice the letters drop down one pixel but the typed word Male does not. Also notice the line just below Male drops down 3 pixels.

GB OW .C OM

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Figure 4. Line 6c at 500%. The typewriter name of the hospital does not drop down 2 pixels.

FR

Figure 5. Obamas form

IE

ND

2. There is a white haloing around all the type on the form. Figure 5 is an example of this. This effect should not appear on a scanned grayscale image. Figure 6 is a grayscale image scanned in at 240 dpi. You will notice that there is no haloing effect around the type and also the security pattern is seen through the type. Figure 7 is a color image where you can clearly see the security green color through the type and no haloing. Figure 8 shows a Black and White (binary) image of the same type. The important thing to remember is that you cannot have grayscale and binary on the same scan unless the image is a composite. That means that different components of the whole image are made up of smaller parts. Figure 9 is an enlarged version of Figure 6 showing what grayscale letters should look like compared to binary.

OF

Figure 6. Grayscale.

TH EF O
3

The conclusion you must come to is that the typed in form was superimposed over an existing original Certificate of Live Birth form. In fact, since I found some of the form headings scanned in as binary and grayscale, the form itself is a composite but the person who created it did not flatten the image of the blank form and save it as one file before they started placing the typewriter text on the composite form. The individual(s) who perpetrated this forgery could not evidently find a blank form in the clerks imaging database, so they were forced to clean up existing forms and overlay the typewriter type we see here. The forger was also looking for certificates with the correct stamped dates and that is why I think they used more than one original form. At first I wondered why the forger didnt just typeset the entire form from scratch and overlay the type and not have to worry about the parallax problem. Then I remembered that in the early 1960s there was no phototypesetting and this form was set in hot metal from a linotype machine. The type design I think is Times Roman but they could never replicate the exact design. They were stuck having to use existing forms that were scanned in using binary and grayscale.

GB OW .C OM
Figure 7. Color image.

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Figure 8. Binary image.

Figure 9. An enlarged version of Figure 6 showing grayscale type.

Figure 10, Inverted image of Figure 2.

3. The Obama Certificate is loaded with both binary and grayscale letters which is just another smoking gun that this form is a forgery. It appears the lines and some of the boxes were scanned using grayscale, but only some of the form headings were grayscale and sometimes it is only some letters. Figure 11 and Figure 4 give one example. You will notice that the H and, al, in Hospital, I in Institution, If and again the h and l in hospital were grayscale images, but the rest of the line is binary. The typewriter line below was scanned in as a binary image. I can also tell you for certainty 4

FR

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The next question would be: What would have caused the haloing effect? We know that all the original Certificates of Live Birth (COLB) were microfilmed because we can see the Nordyke Certificate (see Figure 2) was microfilmed. Then some time after 2004 the paper original copies, in post binder books, were scanned using a commercial document scanner with a flatbed, scanned as grayscale images. The forger was working with two types of images. He/she may have used images printed from the microfilmed copy and then scanned the printout in grayscale. At that point the forger would have to invert the image so as to have a white background, black type. Figure 10 is an example of an inverted image of Figure 2. The result would be like Figure 9 but a whiter background. The image I am working with in Figure 10 is only 94 DPI but the forger was working with much higher resolution (240 dpi). At that point the forger converted the grayscale to a binary image and placed it onto the background form image. The problem was that there were still image values for the pixels around the placed type so when he/she placed the type image over the background and instructed the program to bring the type forward it blanked out the background image, hence the haloing effect around the type.

GB OW .C OM

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Figure 11. showing a mixture of grayscale and binary type on the same line.

Another example is found in form box 1a, his name BARACK for some reason the R is a grayscale image and the rest is binary (see Figure 13). That means the R was originally on the form and the rest was not until it was added. The question again is: Why did the forger leave some grayscale type images on the form and not just erase the whole form? The answer is that he/she needed the grayscale images to re-establish the baseline of the type for the superimposed binary type. This also told me that the forger was an experienced graphic artist.

Figure 13. Another example of grayscale and binary on the same line.

Figure 14. The last 1 is grayscale, but the rest are binary.

4. The Sequential Number is a fraud. I would like you to refer back to Figures 1 and 2. You will notice that Barack Obama was supposed to have been born on Friday at 7:24 p.m. August 4, 1961 and the local registrar supposedly accepted it on Tuesday August 8, 1961 and hand stamped the Certificate number 61 10641. Then notice that the other Certificate of Susan E. Nordyke was born on Saturday at 2:12 p.m. August 5, 1961 and another registrar date stamped it on August 11, but her Certificate number is 61 10637. Susan Nordyke was a twin and her sisters Certificate number is 61 10638. Keep in mind there would be only one Bates stamp machine in the office so the numbers would all be unique. There cannot be any duplicates so every Certificate has a unique serial number. 5

FR

IE

ND

Another example is the Certificate number itself (see Figure 14). The last 1 on the form is a grayscale image but the rest of the numbers are not. It also has a different baseline. This is just another example of a cut and paste job. It also means we do not know what the real Certificate number is if there even is one. There are other form boxes that display the same feature, boxes: 5b, 7e, 11, 13, 16, 18a.

OF

TH EF O

GB OW .C OM

that the form type was scanned in at a lower resolution (200 dpi). This is because of the size of the pixels on the letters were such that the openings on the a and s on the first line are not visible and filled in. This may also further indicate that forger took some of the type images from the microfilmed copies.

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FR

5. Two different colors in Form box 20, 22 and 17a Date Accepted by Reg. General. What is very revealing about this box and date entry is there are two different colors on both lines where there should be no color at all. Both lines were scanned using binary mode, but I see two different colors (see Figure 15). What I think this shows us is that the person who put this fraud together was looking for a form that had the right date namely August 8 19_1. As you can see the only things that are printed in dark green (R=71, G=92, B=73) are Date A and AUG -8 6. The rest of the type is in black. This tells me that the forger was working in color mode and what they copied from had a color value for some reason unless they put a color value on it.

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Obamas Certificate would have most likely been mailed on the following Monday, the 7th and received by the Clerk Tuesday the 8th. Susan Nordyke and her sisters Certificates looks like they were mailed sometime earlier that week and not accepted until the 11th but Susan has a Certificate four numbers less than Obamas. It is impossible to have Obamas Certificate number to be four numbers higher than a Certificate that came in three days later. As stated in #3 the last 1 on the form is a grayscale image but the rest of the numbers are not (see Figure 14). You will also notice that the baseline of the last 1 is straight and level but the rest of the numbers are slanted. This is again irrefutable proof that the Certificate number is a composite of two numbers and hence a forgery. This forgery comes under a separate offense and carries with it 5-years in prison [see Appendix D: Title 19, Ch.47, Sec, 1028(d)(1)]. The facts I have shown you in #3 and 4 tell me several things about how this forgery was assembled. 1. Some person(s) in the Health Department, who had access to the document imaging program, searched the database for someone close to the actual birth date of Obama and found someone near the 4th of August, if in fact he was born on the 4th and we should not assume that at all. Obama may have chosen the 4th of August because they had a baby who died close to his date of birth. The clerk may have cross referenced the death database to find someone who had died and had a birth date close to Obamas. It has been reported that an infant girl named Virginia Sunahara was born on August 4, 1961 at Wahiawa Hospital in Wahiawa, Oahu, HI who died on August 5, 1961 at the Kapiolani Women and Childrens Medical Center, due to complications. This happens to coincide with the date of birth and birthplace of the Nordyke twins. We could make two assumptions here. 1. Wahiawa Hospital customarily would have completed the COLB form and mailed it to the County Health Department; and 2. Kapiolani Medical Center would have filled out the death certificate. The other less likely scenario could be that her medical records were transferred to Kapiolani Hospital and they would produce the birth certificate and later the death certificate which was later included in the group of birth certificates that contained the Nordyke twins. The Federal Government wanted the States to cross reference the birth and death databases so the database would have that information. The date stamps have two different colors and sizes (see #5 below) which indicates that both dates came from different Certificates. We can conclude from this that more than one person was involved in the Hawaii Department of Health in assembling the different components that were used: 1. Someone to conduct the database searches to find the right Certificates to create the fraudulent Certificate of Live Birth; and 2. Someone who signed or stamped the fraudulent certificate. I believe that after all the components were assembled they were then given to a graphic artist to actually assemble the whole thing and create the finished forgery. That graphic artist could be located anywhere. In short this was a multi-state conspiracy to defraud the United States.

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Figure 15. Two different colors, dark green and black.

The same thing is found in form box 20 Date Accepted by Local Reg. Figure 16 again shows that the date has two different colors. The AUG -8 196 is in dark green (R=87, G=111, B=87) and the 1 is in black. Yet again another irrefutable proof this form is a forgery. Form box 17a displays the same two color image in the word None. The Non is in dark green.

6. The official seal is not part of the Certificate of Live Birth and they used the wrong size impression of a seal. The Hawaiian law (Section 11-1-2 Seal of the Department of Health) states:
a) The official seal of the department of health shall be circular in shape, two and one-fourth inches in diameter. At the curve on the top portion there shall be the words DEPARTMENT OF HEALTH and at the curve on the bottom portion there shall be the words STATE OF HAWAII. At the curve on each side portion shall be a star. In the center of the seal shall be the Caduceus, a winged rod entwined with two serpents, which has long been recognized as a universal symbol of medicine. The Caduceus shall be encircled by an indentation, which shall separate it from the words DEPARTMENT OF HEALTH and STATE OF HAWAII .

The first Certification of Live Birth Obama the candidate produced in June of 2008 was the Short Form of the COLB. It had the Department of Healths seal embossed on it (see Figure 17) appearing on it about 1.8 from the bottom of the 11 inch paper. That told me the Health Department is using an electric embosser, which applies ample pressure to leave a clear visible embossment. Hand seal embossers have only 7/8 or less from the edge of the paper for a 1 seal. The Health Department seal does not appear obvious on the Obama COLB. A good embossment will distort the type and lines on a form and is clearly visible (see Figure 21). Even on the Nordyke Certificate (see Figure 18) in spite of it being an inverted image from a microfilmed image, it is clearly seen. Figure 7

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Figure 17, Seal on Obamas Short Form Figure 18: Nordyke seal from 1966 (Figure 19 is courtesy of Kevin Powell; http://www.pixelpatriot.blogspot.com)

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Figure 16. Another example of two colors on the same line.

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Figure 19: Obamas COLB long form Apr.2011

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Figure 20: Seal on Obamas COLB From April 27, 2011.

Figure 21: Hand stamped seal from an original COLB from 1962.

I then examined Certificates of other individuals that I found on the internet. Figure 23 is of a Certification short form of Patricia Decosta dated 2002 and it is also 1. As stated in the Hawaii state code, it must be 2.25 in diameter. The current Department of Health seal is not the same one they had in the 1960s. That one was 2 in diameter (see Figure 18) but the current seal is not legalits the wrong size and the type is not legible! You cannot make out any of the words, the stars or the Caduceus. I will be notifying the Department of Health of their gross error in the hope 8

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Figure 22. The COLB Obama presented on 4/27/11 from the PDF file on the White House web site. The seal measured only 1-7/8 in diameter.

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The official seal on the Obama COLB is a second or even third generation image from another form. The seal embossing did not distort the lines or type on the form and it most likely was never part of his Certificate. We cannot make out any of the type on the seal as well as the two stars and the Caduceus. The distorted background image of a seal can be created using Photoshop or Illustrator by applying it as a watermark. Yet another indication this Certificate of Live Birth is an obvious forgery. If that wasnt enough I then investigated the size of the latent seal image on the Obama certificate and found it to measure only about 1 in diameter. The procedure I used to discover the seal measurements were as follows: With the Savannah Guthrie photo (see Figure A) of the document I was able to see the left and right hand sides of the document and knew that was 8 wide. I was then able to determine the scale of all the components on the form. I then measured the line length on the second line from the bottom. Box 20, 21 and 22 rest on. That length is 6.396 long, measured from the first bold vertical line on the left side of the form to the end of the line (see Figure 22). I then adjusted all the images I had for Certificates including non-Obama Certificates, which I had. What I found was that the alleged embossed seal on the Obama COLB were all 1 in diameter and that is not the legal seal as described by Hawaii state law, which should be 2. The administration has the wrong size seal on their certificate and that seal was supposed to be a first generation full size imprint.

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19 shows Obamas seal on the COLB presented on April 27, 2011, and is visible only because a color filter was used to see it, otherwise it completely disappears in the design of the security paper (see Figure 20).

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Figure 23. The Certification of Patricia Decosta dated 2002.

Figure 24. Registrar stamp on a persons Certificate done March 2011.

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Now let us look at Obamas Certificate (see Figure 25) supposedly done on Aril 25, 2011. Notice the registrars rubber stamp has an error on the word the which reads TXE, but this error does not show up on the same rubber stamp used one month before. In Figure 26 you will see an enlargement of the word. You will notice that the X had been created by the graphic artist by filling in pixels so it appears like an X but it really is not. Also notice that the whole stamp is too straight on the form. The red lines drawn under two of the lines of type are aligned with the pixels. The stamp rises only two pixels over 3. My conclusion is that the whole stamp was placed there by the graphic artist to look as straight as possible. The only problem is that no hand stamped notice like this would be placed that perfect on the page.

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7. The hand stamped certification from the current registrar is a forged stamped notice. The Department of Health has the right to produce a legal copy of the original Certificate of Live Birth for people who have the appropriate right to receive one. The Clerk in the office would search the document imaging database and retrieve the correct Certificate. The Clerk would then print out the tiff image on the green security paper. They would then take a rubber stamp that states the following: I CERTIFY THIS IS A TRUE COPY OR ABSTRACT OF THE RECORD ON FILE IN THE HAWAII STATE DEPARTMENT OF HEALTH. Then below this notice would be the likeness of the State Registrars signature, in this case it was Alvin T. Onaka, Ph.D. Then the clerk would stamp the date to the left of the certification. See Figure 24 for a Certificate done one month before the Obamas April 25, 2011 Certificate. Please note that since it is a hand stamp the certificate stamp is skewed up on the right side.

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they will fit it with a new legal seal. Some time after 1966 the original legal seal was lost or stolen because they do not wear out. Some bureaucrat ordered a replacement and was either ignorant of the law or too stupid to ask if there was a specific requirement for the seal. What mystifies me is that the Director of the Department of Health and the registrars did not spot the error and fix it. My conclusion is they just didnt care about the law.

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Figure 25. Obamas Registrar stamp with the errors on it,

Figure 26. Enlargement of the TXE.

Other investigators have mentioned what looks like an italic E under the capital A in Alvin. In Figure 24 the same artifact does not appear. This artifact also does not show up on the Savannah Guthrie photo but does appear on all the other copies and PDFs the White House displayed. We have to assume either the artifact was already on the security image the forger used, and forgot to erase it, or it was placed there deliberately for some reason that we dont know yet. 8. Forged signatures of the Mother and Registrar. Forgery of a signature occurs in three ways. The old methods were someone would practice signing anothers signature until they got good at it. Another was to simply trace the signature from a previously known signature. The new way is to find a signature and scan it into a computer. Then place that signature, or parts of a signature, onto the desired form or check. The signature of the mother, Ann Dunham Obama in Box 18a is made up of two images. The Ann D is in grayscale and the rest of her name is a binary image. The signature of the registrar UKL Lee is also made up of the same image types. The K really looks like IL and the I is a binary image and the rest of his name is grayscale. That means the I was added in another layer. Both errors can be seen included in Figure 27. Irrefutable proof the Obama Certificate is a forgery. 9. Multiple layers in the PDF file from the White House. I am not the first one to find this fact and they deserve the credit for discovering it. What they discovered is that when you open up the PDF file in Adobe Illustrator and you turn on layers, you see a long list of nine different layers that correspond to different sections of the form, including the signatures on the form. Figure 27 shows the layer that contains most of the typewriter and form text. I discovered using just my Adobe Acrobat 8 Standard that I could also see the different components disappear when I enlarged the image to just 400% and used the hand tool to quickly move around the image. When I moved the image fast, the various type components would disappear from the form but the lines stayed just as I had concluded. I also opened up the White House PDF file in WordPad so I could see the codes and headers in the file. There I discovered the evidence for the nine layers embedded in the code (see below). The big surprise I discovered was that the file was finished or created on April 27, 2011 at 12:09 pm and the copy I had downloaded from the White House web site was modified on April 28, 2011 at 9:58 am, the day after the news conference. The whole White House story that the President had his Seattle-based lawyer fly to Hawaii and pick up two signed and stamped paper Certificates of Live Birth and fly directly to Washington DC, is obviously not the document the public has been shown. In other words the whole story may not true. I checked the cost for UPS to ship the documents next day and delivery by 8:30 am Tuesday and it was only $84.00. I checked the cost for a lawyer to fly last minute from Seattle to Hawaii then to Washington DC it is thousands of dollars. Their story is just not believable. The PDF file indicates the PDF CreatorTool was Preview which is an Apple product that is just like Adobes Acrobat Standard, which is a viewer and print driver. It is not a photo and image design program. It is just the program that created the PDF file (as a print driver). The Preview program can

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2 0 obj <</Subtype/XML/Length 3759/Type/Metadata>>stream <xap:CreateDate>2011-04-27T12:09:24Z</xap:CreateDate> <xap:CreatorTool>Preview</xap:CreatorTool> <xap:ModifyDate>2011-04-28T09:58:24-07:00</xap:ModifyDate> <xap:MetadataDate>2011-04-28T09:58:24-07:00</xap:MetadataDate>

The following are the header codes for the 9 layers embedded throughout the file.

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The discovery of nine layers in the PDF image didnt matter for my analysis 1 through 7 because I was able to export the image as a TIFF (18.35 MB) out of that PDF using my Adobe Standard software. So I was working from a flattened image and was able to find all that I did, in other words the layers were irrelevant to me but was just further proof that the Obamas Certificate of Live Birth is a forgery.

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13 0 obj <</Subtype/Image/Length 299366/Filter/DCTDecode/BitsPerComponent 8/ColorSpace 9 0 R/Width 1652/Height 1276/Type/XObject>>stream 14 0 obj <</Subtype/Image/Length 67980/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 1454/Height 1819/Type/XObject>>stream 15 0 obj <</Subtype/Image/Length 5510/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 199/Height 778/Type/XObject>>stream 16 0 obj <</Subtype/Image/Length 480/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 42/Height 274/Type/XObject>>stream 17 0 obj <</Subtype/Image/Length 633/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 123/Height 228/Type/XObject>>stream 18 0 obj <</Subtype/Image/Length 436/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 47/Height 216/Type/XObject>>stream 19 0 obj <</Subtype/Image/Length 173/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 34/Height 70/Type/XObject>>stream 20 0 obj <</Subtype/Image/Length 671/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 243/Height 217/Type/XObject>>stream 21 0 obj <</Subtype/Image/Length 344/Filter/FlateDecode/ImageMask true/BitsPerComponent 1/Width 132/Height 142/Type/XObject>>stream

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also read twenty-six different image and document types, that includes Adobe Illustrator and Photoshop. Defenders of the Administrations argument that the layers were created by an OCR program (Optical Character Recognition) are also ridiculously wrong because the PDF file is not a searchable PDF therefore no OCR process was performed and additionally no text object was found within the PDF file I examined.

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Figure 27: The layer that contains most of the forms text and typewriter text.

Figure 28. Shows 9 layers and no OCR.

Figure 30. PDF modified 4/27/11 @ 12:09 am.

A Rebuttal to the Discovery of the Multi Layers Found in the PDF File.

To begin with the White House PDF was not a searchable PDF therefore no OCR process was performed on the image and therefore the following rebuttal and defense of Obamas COLB is irrelevant and a very poor attempt at defending this blatant forgery. The only rebuttal to the nine layers discovered in the PDF file released by the White House was a statement from Canadian graphic artists from Quebec by the name of Jean-Claude Tremblay on April 29. It was reported by Fox News and on their web site at: http://www.foxnews.com/politics/2011/04/29/expert-says-obamas-birth-certificate-legit/. 12

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Figure 29. Created 7:50 AM

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I have received other White House PDF files from Graphic artists around the country. As a result I received a PDF Certificate that was put up on the White House web site no more than 10 minutes after it was uploaded. That PDF showed nine layers, no OCR (see Figure 28), Image file created at 7:50 am on the 27th (see Figure 29) and finally the PDF file created using Preview (the print driver) and modified on 4/27/11 at 12:09 p.m., which is similar to my file. My conclusion is that this shows the individuals in the White House were fixing or changing this forgery as late as 7:50 a.m., an hour before the pre-news conference.

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Presentation & Report by Paul Irey - Typography and Type Face Expert. Copy Courtesy of: ProtectOurLiberty.org

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Presentation & Report by Paul Irey - Typography and Type Face Expert. Copy Courtesy of: ProtectOurLiberty.org

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Presentation & Report by Paul Irey - Typography and Type Face Expert. Copy Courtesy of: ProtectOurLiberty.org

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Presentation & Report by Paul Irey - Typography and Type Face Expert. Copy courtesy of: ProtectOurLiberty.org

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* * * * Paul Irey can be reached via email at: pauledwardirey (at sign) yahoo.com A full color high-res copy of this report can be viewed and downloaded at: http://www.scribd.com/doc/59624694/

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Afiidavit of Albart HerdFrshot


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OFFICE OF STATE ADMINISTRATIVE HEARINGS STATE OF GEORGIA


DAVID FARRAR, LEAH LAX, CODY JUDY, THOMAS MALAREN, LAURIE ROTH, Plaintiffs, v. BARACK OBAMA, Defendant.

: Docket Number: OSAH-SECSTATE-CE: 1215136-60-MALIHI

DAVID P. WELDEN, Plaintiff, v. BARACK OBAMA, Defendant.

: Docket Number: OSAH-SECSTATE-CE1215137-60-MALIHI :

CARL SWENSSON, Plaintiff, v. BARACK OBAMA, Defendant.

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KEVIN RICHARD POWELL,

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Plaintiff,

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: Docket Number: OSAH-SECSTATE-CE: 1216218-60-MALIHI

: Docket Number: OSAH-SECSTATE-CE: 1216823-60-MALIHI

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Counsel for Plaintiffs: Orly Taitz Counsel for Plaintiff: Van R. Ilion

Counsel for Defendant: Michael Jablonski

Counsel for Defendant: Michael Jablonski

Counsel for Plaintiff: J. Mark Hatfield Counsel for Defendant: Michael Jablonski

Counsel for Plaintiff: J. Mark Hatfield Counsel for Defendant: Michael Jablonski

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ORDER ON MOTION TO DISMISS

Plaintiffs' challenge to his qualifications for office. The Court has jurisdiction to hear this contested case pursuant to Chapter 13 of Title 50, the "Georgia Administrative Procedure Act."

For the reasons indicated below, Defendant's Motion to Dismiss is DENIED. 1

I.

Discussion 1.

The Georgia Election Code (the "Code") mandates that "[e]very candidate for federal and state office who is certified by the state executive committee of a political party or who files a notice of candidacy shall meet the constitutional and statutory qualifications for holding the office being sought." O.C.G.A. 21-2-5(a).

Both the Secretary of State and the electors of Georgia are granted the authority under the Code to challenge the qualifications of a candidate. The challenge procedures are defined in Code Section 21-2-5(b), which authorizes any elector who is eligible to vote for a candidate to challenge the qualifications of the candidate by filing a written complaint with the Secretary of State within two weeks after the deadline for qualifying. O.C.G.A. 21-2-5(b).

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The Georgia law governing presidential preference primaries mandates that "[o]n a date

a presidential preference primary shall submit to the Secretary of State a list of the names of the

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candidates of such party to appear on the presidential preference primary ballot." O.C.G.A. 212-193. On October 6, 2011, Secretary Kemp issued a notice to the chairman of each political

1 Because Defendant's Motion to Dismiss is denied, in the interest of efficiency, the Court finds it unnecessary to wait for the Plaintiffs' responses before denying the motion. Page 2 of 4

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set by the Secretary of State . . . the state executive committee of each party which is to conduct

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On December 15, 2011, Defendant, President Barack Obama, moved for dismissal of

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party to notify them that the deadline for submitting the list of candidate names for the 2012 presidential preference primary was November 15, 2011. On November 1, 2011, the Executive Committee of the Democratic Party submitted President Barack Obama's name as the sole candidate for the Democratic Party. To be timely, complaints challenging a presidential candidate's qualifications in the presidential preference primary had to be filed no later than November 29, 2011. Plaintiffs, as electors eligible to vote for Defendant, timely filed challenges with the Secretary of State before the deadline of November 29, 2011. 4.

In the instant motion, Defendant contends that Georgia law does not give Plaintiffs authority to challenge a political party's nominee for president in a presidential preference primary because Code Section 21-2-5 does not apply to the presidential preference primary. 5.

cited by Defendant are not controlling. When the Court construes a constitutional or statutory provision, the "first step . . . is to examine the plain statutory language." Morrison v. Claborn, 294 Ga. App. 508, 512 (2008). "Where the language of a statute is plain and unambiguous, judicial construction is not only unnecessary but forbidden. In the absence of words of

Over Ga. v. Kull, 276 Ga. 210, 211 (2003) (citations and quotation marks omitted). Because there is no other "natural and reasonable construction" of the statutory language, this Court is "not authorized either to read into or to read out that which would add to or change its meaning." Blum v. Schrader, 281 Ga. 238, 240 (2006) (quotation marks omitted).

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limitation, words in a statute should be given their ordinary and everyday meaning." Six Flags

meet the qualifications for holding that particular office, and this Court has seen no case law

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limiting this provision, nor found any language that contains an exception for the office of

president or stating that the provision does not apply to the presidential preference primary. O.C.G.A. 21-2-5(a) (emphasis added). Although the word "candidate" is not explicitly defined
Page 3 of 4

in the Code, Section 21-2-193 states that the political party for the presidential preference

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Code Section 21-2-5(a) states that "every candidate for federal and state office" must

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primary "shall submit to the Secretary of State a list of the names of the candidates of such party to appear on the presidential preference primary ballot." O.C.G.A. 21-2-193 (emphasis added). Accordingly, this Court finds that Defendant is a candidate for federal office. 7.

Code Sections 21-2-190 to 21-2-200 set out the procedures of the presidential preference primary and also provide no exception to the Section 21-2-5 qualification requirement. This

would not apply to a candidate for the office of the president in the presidential preference primary.

8.

Accordingly, this Court finds that Defendant is a candidate for federal office who has been certified by the state executive committee of a political party, and therefore must, under

being sought.

Based on the foregoing, the motion to dismiss is DENIED.


SO ORDERED, this the 3 rd day of January, 2012.

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Code Section 21-2-5, meet the constitutional and statutory qualifications for holding the office

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Court finds no basis under Georgia law why the qualification requirements in Section 21-2-5

MICHAEL M. MALIHI, Judge

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IN THE OFFICE OF STATE ADMINISTRATIVE HEARINGS STATE OF GEORGIA Farrar, Roth, Lax, Judy, MacLeran Petitioner, , : : : : : : :

v. Obama, Brian Kemp-Secretary of State of GA, Executive Committee of the Democrat Party of GA Respondent. SUBPOENA

TO: Loretta Fuddy, Director of Health, State of Hawaii 1250 Punchbowl Ave, Room 325, Honolulu, HI 96813

YOU ARE HEREBY COMMANDED, to appear in court on behalf of X X X Sworn as a Witness Produce the Document on the Attached List:

Original typewritten 1961 birth certificate #10641 for Barack Obama, II, issued 08.08.1961, signed by Dr. David Sinclair, Stanley Ann Dunham Obama and registrar Lee, stored in the Health Department of the State of HI from 1961 until now, as well as the microfiche roll for August 1961, containing above document Pretrial deposition will be conducted on January 5, 2012 at 1250 Punchbowl Ave, Room 325, Honolulu, HI 96813, 10 am.

The court date, time and location are: DATE: TIME: January 16-18 9 am

You are required to attend from day to day and from time to time until the hearing is completed or you have been released by the judge. HEREIN FAIL NOT UNDER PENALTY OF LAW BY AUTHORITY OF THE ASSIGNED JUDGE.

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IF YOU HAVE QUESTIONS, CONTACT:


Revised 4/27/11

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LOCATION: Administrative Court, state of GA 230 Peachtree str. MW Suite 850, Atlanta, GA30303, Hon Michael Malihi presiding

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Petitioner
PROOF OF SERVICE

Docket No.: OSAH-1215136-60 MALIHI

Respondent to be:

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Name:Orly Taitz, ESQ Attorney for Petitioners Telephone: This section must be completed by the person issuing the subpoena.

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This subpoena was served on:12.12.2011 personally X by registered or certified mail by delivery to a commercial delivery company for statutory overnight delivery by: Telephone: *A copy of the return receipt for registered or certified mail or a copy of the receipt provided by the commercial delivery company must be attached if not personally served. * This section must be completed by the person issues the subpoena.

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OFFICE OF STATE ADMINISTRATIVE HEARINGS

OF

DAVID FARRAR, LEAH LAX, CODY ROBERT JUDY, THOMAS MacLAREN LAURIE ROTH

Plaintiffs,

BARACK OBAMA

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Plaintiffs herein oppose motion to quash subpoenas as one with no merit and utterly frivolous. Motion is loaded with irrelevant material, represents mostly an attack on the Plaintiffs' counsel and an attempt to prejudice the court against

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STATE OF GEORGIA

DOCKET #: OSAH-SECSTATE-. CE-1215136-60-MALIHI

OPPOSITION TO MOTION TO QUASH : SUBPOENAS : : :

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Dr. Orly Taitz, ESQ. 29839 Santa Margarita Parkway, Ste. 100 Rancho Santa Margarita, CA 92688 Ph 949-683-5411 F949-766-7603 Orly.Taitz@gmail.com CA Bar License 223433 Pro Hac Vice GA Attorney For Petitioners

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Plaintiffs counsel. Motion is vague and does not present any specific recognized

merit and frivolous.

ARGUMENT

1. Defendant starts by stating that the hearing would require him to interrupt his

duties in order to appear for an administrative hearing in Fulton County GA. It is noteworthy, that this statement comes on the heels of his extended 17 day

Hawaiian vacation, which cost U.S. taxpayers 4 million dollars. Mr. Obama has

earned a dubious distinction as a Vacationer in Chief, Tourist in Chief, Partier in Chief and a Golfer in Chief due to his endless vacations, parties and rounds of golf. Considering all of the above, it is not too much to ask for Mr. Obama to show up once at a hearing and present his original identification records, which were not

2. Significance of the trial in Fulton county GA has repercussions on the nation as

eligible candidate.

3. Defendant states that he "made document available to the general public by

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placing it on his web site". Since when is an image posted on line, on a website, represents a document, admissible in a court of law or anywhere else for that

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other states will need to ascertain, whether to allow Mr. Obama on the ballot as an

a whole as surely finding of this trial will affect decisions around the country, as

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justifiable reasons to quash the subpoena. Motion should be denied as one without

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matter? When U.S. citizens are applying for their passports or drivers licenses, do

two days ago and posted yesterday? One can post a laundry list on a website and

call it a birth certificate. To get a job as a janitor at the White House or anywhere else for that matter you need to show actual documents. Unfortunately, in most states in the nation and in the federal government there is a loop hole, whereby

individuals running for high offices such as Senator or President can get into such office without ever showing any documents. It is an honor system, it was

presumed, that one would not dare to run for such a high office without possessing necessary documents. However, as was shown in exhibits provided with the First Amended Complaint, there is evidence of fraud and forgery in Mr. Obama's identification records, such as his alleged long form birth certificate and Social

form birth certificate to be produced by Mr. Obama as well as the original to be

Subpoenas plural, however in the body of the motion he talks about a subpoena, singular. Mr. Obama does not represent any witnesses; his attorney does not

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represent any witnesses. No other party filed any motions to quash. If any of the witnesses do not want to appear at trial, it is up to them to file motions to quash. As

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3. Motion to quash is vague and ambiguous. It is titled Motion to Quash

produced by the Director of Health of Hawaii Loretta Fuddy.

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Security number, which necessitates the need for subpoena for a certified long

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they tell the clerk at the counter to look on their website at something they drew

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a matter of fact, recently retired Senior Deportation Officer with the Department of

witnesses mentioned by Mr. Obama, stated that they want to testify to evidence of fraud in Mr. Obama's identification records, as they feel this is the most important matter of the national security. Plaintiffs' attorney has already spent thousands of dollars on airfare and hotel reservations in order to bring the witnesses to trial.

Defendant did not provide any specific justification for quashing subpoenas served on other parties.

4. Mr. Obama was properly served with the subpoena in the state of Georgia, through his attorney Mr. Michael Jablonski, located at 260 Brighton road , N..E. Atlanta, GA 30309. Unless the city of Atlanta recently seceded from the state of Georgia, Mr. Obama was served in the state of Georgia, subpoena is procedurally

requested.

time consuming. Mr. Obama recently embarked on a campaign bus tour across Mid West and he is flying around the country attending multiple fundraisers in

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order to build a cash war chest for the general election. Campaigning consists of not only meeting with large donors and seeking donations, but also of proving that

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court by virtue of submitting his candidacy for presidency. Being a candidate is

5. Mr. Obama availed himself to the jurisdiction of the state of Georgia and this

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valid and Mr. Obama needs to comply, appear at trial and produce the documents

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Homeland Security John Sampson and licensed investigator Susan Daniels,

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one is eligible for the position and has proper identification papers, particularly

forgery. It is reasonable to seek subpoena for Mr. Obama to appear at trial and

provide identification papers. Most of the arguments in this motion are redundant and were brought in Defendants motion to dismiss. It was denied. Defendant is under jurisdiction of the court and agreed to service of process in the state of

Georgia through his attorney, who is located in Georgia. Service of subpoena was proper and valid.

6. Rules of the administrative court of GA state: 616-1-2-19

(1)Subpoenas may be issued which require the attendance and testimony of witnesses and the production of objects at depositions or hearings provided by

616-1-2-19 (5)

are irrelevant, immaterial or cumulative and unnecessary to a partys

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preparation and presentation of its position or that basic fairness dictates that subpoena should not be enforced (Emphasis added) Ga. Comp. R and regulations 616-1-2-.19(5)

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that the subpoena is unreasonable or oppressive or that the objects sought

A subpoena may be quashed by Administrative law Judge if it appears

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these Rules...

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since no one saw the original documents and an alleged copy is deemed to be a

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Subpoena, served on Mr. Obama through his attorney is attached as Exhibit1.

certificate,

certified

school/university

immigration/naturalization records, certified passport records and redacted certified SS-5 application under the names Barack(Barry) Soetoro, Barrack (Barry) Soebarkah and Barack (Barry) Obama and any and all combination of thereof and any other names used.

First, let's look at the names. Plaintiffs provided the court with recently

Soetoro (Exhibit 2). In her passport records Barack Obama was listed under the last name Soebarkah. In south Asia it is common to create blended names. Apparently his mother and Indonesian step father blended his first name

Soebarkah. In his school registration #203 from Assissi School in Jakarta

Barack Obama is his legal name. It is not unreasonable, irrelevant, immaterial,

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cumulative, unfair or oppressive to seek to see identification papers to ascertain, if there is a legal entity Barack Obama, to ascertain, whether a man, who seeks to be on the ballot is Barack Obama.

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identification documents of Barack Obama, and we do not even know if

Indonesia he is listed under the last name Soetoro. Nobody ever saw any

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Barack and his step fathers last name and created a blended last name,

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released passport records of Barack Obamas mother, Ann Dunham (Obama)

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registration records,

It requests any and all certified birth records, certified long form birth certified

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b. The issue of Obamas eligibility was never adjudicated on the merits. As

voters doubted his eligibility, in April of 2011 Mr. Obama posted on the internet, what he claimed to be a copy of his long form birth certificate. Affidavits by Felicito Papa (Exhibit 4), Douglas Vogt and Paul Irey attested to the fact, that according to their experience in the field of Adobe Illustrator, Typesetting and scanning, what was posted on the Internet, was not a copy of a document, but a forgery, created by cutting and pasting parts of different documents and filling in the blanks with computer graphics. Mr. Obama and White House counsel Kathy Ruemmler refused to present for examination the certified copy allegedly obtained in Hawaii. Director of Health of Hawaii refused to produce for examination the original document and nobody even

existed, there was no reason to create a computer generated forgery. As such it

of Hawaii the original document for examination. Moreover, Mr. Obama has

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posted his alleged birth certificate on mugs and T-shirts; he taunted the plaintiffs and their attorney. After he posted his alleged long form birth certificate on line, on mugs and T-shirts, he cannot claim privacy, department

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certified copy of the long form birth certificate and to subpoena from the state

is reasonable to seek from the defendant Mr. Obama to provide a valid

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knows whether the alleged 1961 original aged document even exists. If it

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eligibility questions were raised and polls were showing that some 70% of

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of Health cannot claim privacy, it is not unreasonable, unfair, cumulative,

copy of the long form birth certificate in lieu of the alleged copy made public and in light of the reports of the alleged copy being a forgery.

c. Considering the fact that in his Indonesian school records, Mr. Obama is listed as an Indonesian National, it is reasonable to subpoena his Immigration/Naturalization records and passport records. If indeed he came back from Indonesia as an Indonesian national and had to go through immigration/naturalization proceedings, he would be a naturalized citizen, not natural born and would not qualify for the position of the U.S. President, as the U.S. President is supposed to be Natural born. Similarly, it is reasonable to subpoena his school registration records, as those would reflect his legal name

registration records are not immaterial, unnecessary, cumulative, oppressive,

file. His full Social Security number became available to the public, which

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was a Connecticut Social Security number, even though Mr. Obama was never a resident of CT and the number was never assigned to Barack Obama according to E-Verify and SSNVS. Individuals, who are natural born citizens,

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d. Lastly, as Mr. Obama published his tax records, he did not flatten the PDF

unfair, unreasonable or irrelevant to be requested in the subpoena.

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and citizenship. As such, immigration records, passport records and school

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oppressive, immaterial, or unnecessary to subpoena production of a certified

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have no problem obtaining a valid Social Security number from the state,

identity fraud. As such, subpoena of a redacted SS-5 is not immaterial, irrelevant, oppressive, cumulative, unfair. unreasonable, irrelevant, unnecessary or

Based on all of the above, all the documents requested in the subpoena were properly requested and there are no grounds to quash the subpoena, seeking production of the above documents.

7. Most of the motion to quash contains irrelevant, impertinent, inflammatory and prejudicial material, which has nothing to do with the motion to quash the subpoena and was brought improperly, with the sole purpose of obfuscating the issues and prejudicing the court against the Plaintiffs and their attorney.

eligibility case was heard on the merits. Not one single judge around the

judge ruled that Barack Obama has a valid long form birth certificate, not one

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single judge ruled that Barack Obama has a valid Social Security number. Not one single judge ruled that Barack Obama is indeed his legal name. Not one single judge ruled that the person residing in the White House is indeed

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around the nation saw Obamas long form birth certificate, not one single

nation ruled that Barack Obama is a natural born citizen. Not one single judge

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Defendant is bringing unrelated cases. It is, suffice to say, that not one single

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where they reside. Lack of a valid Social Security number is evidence of

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Barack Obama. All of the cases brought after the 2008 election were

courts desire to abstain from hearing the issue. Previous cases were adjudicated after the election and judges did not want to overturn the results of the election. Current case is different in that it is brought as a ballot challenge; it is being heard before the primary, before Mr. Obamas name is on the ballot. Defendant is bringing forward the fact that Mr. Obama was elected and confirmed in 2008. This is irrelevant. We are not in 2008. We are in 2012. Since 2008 a lot of information became available, which showed forgery and fraud in Mr. Obamas records.

An old axiom states, if you dont like the message, kill the messenger. The defense engaged in attacking the Plaintiffs counsel. This motion is not about

documents properly requested in the subpoena? The defense was supposed to

documents requested were relevant, material, reasonable, necessary, not

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cumulative, not oppressive and do not violate the notion of fairness. Gratuitous attack on Plaintiffs counsel, bringing unrelated cases and irrelevant matters in the motion to quash was unethical and sanctionable.

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basis to quash this particular document. Defendant failed to do so, as the

address each document requested and show with specificity, why there is legal

OF

the Plaintiffs counsel. This motion is about the subpoena. Were the

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dismissed on technicality: due to lack of jurisdiction, lack of standing or

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CONCLUSION

irrelevant, immaterial, unreasonable, oppressive, and cumulative and did not violate the notion of fairness. As such the Motion to Quash Subpoena served on the Defendant should be denied. Proof of service

I, Orly Taitz, ESQ attest that I served this Opposition to Motion to Quash Subpoena on the defendant on 01.19.2012 through his attorney at Michael.Jablonski@comcast.net /s/ Dr. Orly Taitz, ESQ

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The subpoena served on Defendant was proper, documents requested not

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URGENT DEMAND FORVERIFICATION on L2.I2.201-2 legalaction Grinols,Odden,Judd,Noonenand MacLarenv ElectorolCollege, a President of the Senate, Congress, Barock HusseinOboma, oka Borack (Barry ) Soetoro, oka Barack Barry Soeborkah, Governorof Coliforniaond Secretary State of Coliforniawas filed by severalPresidential of electors and minor presidential candidates. casenumberis 12-cv-02997 The PresidingJudge Morrison C. England Eastern District California. AttorneyBenjamin Wagner of U.S. and DeputyU.S. AttorneyEdward Olsenmade an appearance attorneysrepresenting U.S.Congress, President the Senate,Electoral of as restraining College and Barack Obama. motionfor a TRO(temporary A order) wasfiled by the plaintiffs to enjointhe certification the electoral votesfor Obamaand enjointakingof the oath of office by of Obamapending on for in adjudication the meritsof his legitimacy the U.S. Presidency lightof the fact that he is usinga Connecticut Social Security number 042-68-4425, which was neversignedto him passport is listedundera according E-Verify SSNVS, to the factthat in his mother's to he and due

differentlastname,Soebarkah, to the fact that multiple due experts and members law enforcement of found his Selective Service application and longform and short form birth certificates be computer to generated forgeries and a numberof other reasons. attorneys U.S. Wagner filedan and Olsen

adjudication the meritsof aboveissues do not want to get answers the questions on and to to essential priorto the inauguration. cameto the attentionof the plaintiffs the U.S. National security lt that a numberof Defendants actually shared concerns the plaintiffs the of and did not knowthat the US attorneysrepresented them and opposedthe motion for TRO. You are requested fill out the to questioner provided whetheryou were awareof the factsand evidence with the belowand clarify complaint Wagner to the and that you authorized and Olsen oppose TRO. Questions Initial lnitial yes no

L. I wasnotified and Attorney General Edward that U.S. Attorney Benjamin Wagner Deputy Olsen(hereinafter me et College et Wagner Olsen) representing in Grinols al v Electoral and are presiding al l2-cv-02997 Eastern District California, of Chief Judge Morrison England C.

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opposition the TRO. to Theiropposition means U.S. each that eachand everyUScongressman, Senator, and everyElector; 435 USrepresentatives, 100Senators, 538 Presidential all Electors all all oppose

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2. I authorized to a Wagnerand Olsen file an opposition TRO,opposing stayof certification to and a stayof takingthe oath of officeby Obamapending adjudication the meritsof the on evidence forserv in the Selective of Service Certificatelons form birth certificate and short form

ND

(Attorney Plaintiffs Taitz, for 29839 ste Margarita, Orly Santa Margarita, LO0, Rancho Santa Ca phone fax 92688 949-683-5411, 949-766-7603 orly.taitz@gmail.com )

Dk

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(Barry) (Barry) birth certificate Barack of Hussein Obama, akaBarack Soetoro aka Barack obama Soebarkah and evidence fraudulentuse by him of Connecticut of number 042-68Social Security 4425by Barack Hussein Obama

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3.Wagner Olsen and forwarded mea sworn to affidavit theretired of Investigator Chief of the Special InvestigationsoftheU.S. Unit Coast Guard former and special fortheDepartment agent

document

4. I wasgivenby Wagner and Olsen TROmotion,where it is explained the that a male

who did not register with the Selective Service and who doesnot havea valid registration the for (not an altered forgedone,but a validone) is disqualified Selective Service or from holding any

position government pursuant 5 USC 3328. within the Executive branch the UnitedStates of to 5

plaintiffs provided 5. I am awarethat as part of their complaint 2009tax returns Barack for Obama, whichshow him using Connecticut a number042-68-4425, SocialSecurity eventhough Obamawas nevera resident Connecticut according E-verifli SSNVS of and to and this number was neverassigned Obama to

6. I haveread sworn affidavits Sheriffof MaricopaCountyJoseph of Arpaio,Investigator Mike Zullo,Retired Deportation licensed Senior officer JohnSampson, Investigator Susan Daniels attestingto evidence forgeryin Obama's of Service Certificate birth certificate,Selective and Social Security card

7. I viewed video the by AZ Arpaio and tapeof the press conference Maricopa County, Sheriff Investigator Zullo, wellassworn witness Daniels, Linda as testimony witnesses of Susan Jordan, Douglas Vogt, Felicito Papa attesting evidence fraud forgeryin Obama's to of and lDs
8. I readthe passport of Ann Dunham, motherof Barack Obama, records deceased Stanley the Act,included with the complaint, showing Obamalisted obtained underFreedom Information of passport records. understand underthe lastnameSoebarkah his mother's in I that one hasto be

Adamsstating in of that there that it was a commonknowledge the officeof the Registrar Hawaii is no birth certificate Obamain any hospital Hawaii for in

whereObama statedthat Acton-Dystel 1991and kepton the official in web siteof ActonDystel,

FR

he was born in Kenya and raised Indonesia.understand in I thatthis biographywas removed to from the official web siteof the publisher 2OO7 in when Obamadecided run for the U.S. President needed be a "naturalborn" U.S. and to Citizen

IE

by to 10. I reviewed biography Barack of Obama submitted Barack Obama hispublisher the

ND

of 9. I readthe sworn affidavitof the assistant clerkof the officeof the Registrar HawaiiTimothy

swornin undera correctlegalname.

OF

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of Homeland Security JeffreyStephan where Coffmanstatesunderthe penaltyof Coffman, perjurythat the alleged application Selective for Service Barack by Obamais an altered

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11.I understand Obama's that alleged selective service certificate contains two digityear a stamp years U.S. "80",while overa hundred for all stamps have fourdigityear, a such ""1980" as

different shapes and different sizes, whichis impossible when the documents created is with a type writer.

judge juryor forensic 13.I understand notonesingle that or document expert allowed was to seetheoriginal birthcertificate Obama, original for the application theSelective for Service and the original application the Connecticut Security for number Social by used Barack Obama
14. I understand that in hisSchool registration lndonesia 1967Barack in in Obamais listedas a

citizen Indonesia.understand of I that there is no recordof him changing citizenship his after returning the U.S. to from Indonesia relinquishing lndonesian and his I citizenship.understand that evenif Obama/Soetoro/Soebarkah to change citizenship were his upon hisreturnfrom Indonesia, would be naturalized not natural he and borncitizen required as forthe position of the U.S. President according article2, section of the U.S. to 1 Constitution

16.With full knowledge abovefactsI authorized of Wagner and Olsen file an opposition to to TRO,opposing temporary a stayof certification a stayof takingthe oath of officeof the U.S. and (Barry President Barack Hussein by Obama, akaBarack(Barry)Soetoro, Barack aka )Obama pending Soebarkah adjudication the meritsof the evidence forgeryin hisSelective on of Service Certificate, longform birth certificate his and short form birth certificate, evidence fraudulent of relatedissues useof Connecticut Social number042-68-4425 Barack Hussein Obamaand other Security by

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Presidentia I elector/state

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USSenator/state

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p USRe rese ntative/state

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apc6o - Jfulb- ar

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15.I understand in hisschool that registrationIndonesia in Barack is Obama listed under last the name hisstepfather of I Soetoro.understand thereis no record Obama that of everchanging his name fromSoetoro Obama to

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12. I understand that obama'salleged copyof his longform birth certificate contains lettersof

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President ofthe Senate Joseph Biden

Dated W,,tra-z?

q, ZOl3

Please, forward the signedform to the Attorneyfor the plaintiffs

949-6g3-54 fax L1_, 949-766-7603 orly.taitz@gmail.com your earliestconvenience. to the great importanceto the at Due National security answers requested be sentimmediately fax or e-mailand followedup by are to by sending certified a copyby mail

orly Taitz29839SantaMargarita, 100,Rancho ste SantaMargarita, 92Ogg phone Ca

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The Office of Secretary of State


SECRETARY OF STATE

Brian P. Kemp

January 25, 2012 VIA REGULAR MAIL & EMAIL Michael Jablonski 260 Brighton Road, NE Atlanta, Georgia 30309 michael.jablonski@comcast.com

RE:

Georgia Presidential Preference Primary Hearings

Dear Mr. Jablonski:

I received your letter expressing your concerns with the manner in which the Office of State Administrative Hearings ("OSAH") has handled the candidate challenges involving your client and advising me that you and your client will "suspend" participation in the administrative proceeding. While I regret that you do not feel that the proceedings are appropriate, my referral of this matter to an administrative law judge at OSAH was in keeping with Georgia law, and specifically O.C.G.A. 21-2-5. As you are aware, OSAH Rule 616-1-2-.17 cited in your letter only applies to parties to a hearing. As the referring agency, the Secretary of State's Office is not a party to the candidate challenge hearings scheduled for tomorrow. To the extent a request to withdraw the case referral is procedurally available, I do not believe such a request would be judicious given the hearing is set for tomorrow morning. In following the procedures set forth in the Georgia Election Code, I expect the administrative law judge to report his findings to me after his full consideration of the evidence and law. Upon receipt of the report, I will fully and fairly review the entire record and initial decision of the administrative law judge. Anything you and your client place in the record in response to the challenge will be beneficial to my review of the initial decision; however, if you and your client choose to suspend your participation in the OSAH proceedings, please understand that you do so at your own peril. I certainly appreciate you contacting me about your concerns, and thank you for your attention to this matter.

Sincerely,

FR

Brian P. Kemp

cc:

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Hon. Michael Malihi (c/o Kim Beal - kbeal@osah.ga.gov) Van Irion, Esq. (van@libertylegalfoundation.org) Orly Taitz, Esq. (orly.taitz@gmail.com)
214 State Capitol Atlanta, Georgia 30334 (404) 656-2881 (404) 656-0513 Fax www.sos.state.ga.us

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Case: 13-70744 Michael Jablonski January 25, 2012 Page | 2

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214 State Capitol Atlanta, Georgia 30334 (404) 656-2881 (404) 656-0513 Fax www.sos.state.ga.us

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Mark Hatfield, Esq. (mhatfield@wayxcable.com) Stefan Ritter, Esq. (sritter@law.ga.gov) Ann Brumbaugh, Esq. (abrumbaugh@law.ga.gov)

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URGENT DEMAND FORVERIFICATION on L2.I2.201-2 legalaction Grinols,Odden,Judd,Noonenand MacLarenv ElectorolCollege, a President of the Senate, Congress, Barock HusseinOboma, oka Borack (Barry ) Soetoro, oka Barack Barry Soeborkah, Governorof Coliforniaond Secretary State of Coliforniawas filed by severalPresidential of electors and minor presidential candidates. casenumberis 12-cv-02997 The PresidingJudge Morrison C. England Eastern District California. AttorneyBenjamin Wagner of U.S. and DeputyU.S. AttorneyEdward Olsenmade an appearance attorneysrepresenting U.S.Congress, President the Senate,Electoral of as restraining College and Barack Obama. motionfor a TRO(temporary A order) wasfiled by the plaintiffs to enjointhe certification the electoral votesfor Obamaand enjointakingof the oath of office by of Obamapending on for in adjudication the meritsof his legitimacy the U.S. Presidency lightof the fact that he is usinga Connecticut Social Security number 042-68-4425, which was neversignedto him passport is listedundera according E-Verify SSNVS, to the factthat in his mother's to he and due

differentlastname,Soebarkah, to the fact that multiple due experts and members law enforcement of found his Selective Service application and longform and short form birth certificates be computer to generated forgeries and a numberof other reasons. attorneys U.S. Wagner filedan and Olsen

adjudication the meritsof aboveissues do not want to get answers the questions on and to to essential priorto the inauguration. cameto the attentionof the plaintiffs the U.S. National security lt that a numberof Defendants actually shared concerns the plaintiffs the of and did not knowthat the US attorneysrepresented them and opposedthe motion for TRO. You are requested fill out the to questioner provided whetheryou were awareof the factsand evidence with the belowand clarify complaint Wagner to the and that you authorized and Olsen oppose TRO. Questions Initial lnitial yes no

L. I wasnotified and Attorney General Edward that U.S. Attorney Benjamin Wagner Deputy Olsen(hereinafter me et College et Wagner Olsen) representing in Grinols al v Electoral and are presiding al l2-cv-02997 Eastern District California, of Chief Judge Morrison England C.

OF

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opposition the TRO. to Theiropposition means U.S. each that eachand everyUScongressman, Senator, and everyElector; 435 USrepresentatives, 100Senators, 538 Presidential all Electors all all oppose

GB OW .C OM

IE

2. I authorized to a Wagnerand Olsen file an opposition TRO,opposing stayof certification to and a stayof takingthe oath of officeby Obamapending adjudication the meritsof the on evidence forserv in the Selective of Service Certificatelons form birth certificate and short form

ND

(Attorney Plaintiffs Taitz, for 29839 ste Margarita, Orly Santa Margarita, LO0, Rancho Santa Ca phone fax 92688 949-683-5411, 949-766-7603 orly.taitz@gmail.com )

Dk

FR

(Barry) (Barry) birth certificate Barack of Hussein Obama, akaBarack Soetoro aka Barack obama Soebarkah and evidence fraudulentuse by him of Connecticut of number 042-68Social Security 4425by Barack Hussein Obama

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3.Wagner Olsen and forwarded mea sworn to affidavit theretired of Investigator Chief of the Special InvestigationsoftheU.S. Unit Coast Guard former and special fortheDepartment agent

document

4. I wasgivenby Wagner and Olsen TROmotion,where it is explained the that a male

who did not register with the Selective Service and who doesnot havea valid registration the for (not an altered forgedone,but a validone) is disqualified Selective Service or from holding any

position government pursuant 5 USC 3328. within the Executive branch the UnitedStates of to 5

plaintiffs provided 5. I am awarethat as part of their complaint 2009tax returns Barack for Obama, whichshow him using Connecticut a number042-68-4425, SocialSecurity eventhough Obamawas nevera resident Connecticut according E-verifli SSNVS of and to and this number was neverassigned Obama to

6. I haveread sworn affidavits Sheriffof MaricopaCountyJoseph of Arpaio,Investigator Mike Zullo,Retired Deportation licensed Senior officer JohnSampson, Investigator Susan Daniels attestingto evidence forgeryin Obama's of Service Certificate birth certificate,Selective and Social Security card

7. I viewed video the by AZ Arpaio and tapeof the press conference Maricopa County, Sheriff Investigator Zullo, wellassworn witness Daniels, Linda as testimony witnesses of Susan Jordan, Douglas Vogt, Felicito Papa attesting evidence fraud forgeryin Obama's to of and lDs
8. I readthe passport of Ann Dunham, motherof Barack Obama, records deceased Stanley the Act,included with the complaint, showing Obamalisted obtained underFreedom Information of passport records. understand underthe lastnameSoebarkah his mother's in I that one hasto be

Adamsstating in of that there that it was a commonknowledge the officeof the Registrar Hawaii is no birth certificate Obamain any hospital Hawaii for in

whereObama statedthat Acton-Dystel 1991and kepton the official in web siteof ActonDystel,

FR

he was born in Kenya and raised Indonesia.understand in I thatthis biographywas removed to from the official web siteof the publisher 2OO7 in when Obamadecided run for the U.S. President needed be a "naturalborn" U.S. and to Citizen

IE

by to 10. I reviewed biography Barack of Obama submitted Barack Obama hispublisher the

ND

of 9. I readthe sworn affidavitof the assistant clerkof the officeof the Registrar HawaiiTimothy

swornin undera correctlegalname.

OF

TH EF O

GB OW .C OM

of Homeland Security JeffreyStephan where Coffmanstatesunderthe penaltyof Coffman, perjurythat the alleged application Selective for Service Barack by Obamais an altered

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11.I understand Obama's that alleged selective service certificate contains two digityear a stamp years U.S. "80",while overa hundred for all stamps have fourdigityear, a such ""1980" as

different shapes and different sizes, whichis impossible when the documents created is with a type writer.

judge juryor forensic 13.I understand notonesingle that or document expert allowed was to seetheoriginal birthcertificate Obama, original for the application theSelective for Service and the original application the Connecticut Security for number Social by used Barack Obama
14. I understand that in hisSchool registration lndonesia 1967Barack in in Obamais listedas a

citizen Indonesia.understand of I that there is no recordof him changing citizenship his after returning the U.S. to from Indonesia relinquishing lndonesian and his I citizenship.understand that evenif Obama/Soetoro/Soebarkah to change citizenship were his upon hisreturnfrom Indonesia, would be naturalized not natural he and borncitizen required as forthe position of the U.S. President according article2, section of the U.S. to 1 Constitution

16.With full knowledge abovefactsI authorized of Wagner and Olsen file an opposition to to TRO,opposing temporary a stayof certification a stayof takingthe oath of officeof the U.S. and (Barry President Barack Hussein by Obama, akaBarack(Barry)Soetoro, Barack aka )Obama pending Soebarkah adjudication the meritsof the evidence forgeryin hisSelective on of Service Certificate, longform birth certificate his and short form birth certificate, evidence fraudulent of relatedissues useof Connecticut Social number042-68-4425 Barack Hussein Obamaand other Security by

FR

Presidentia I elector/state

IE

USSenator/state

ND

p USRe rese ntative/state

OF

Pza,o4,r,/

apc6o - Jfulb- ar

TH EF O

15.I understand in hisschool that registrationIndonesia in Barack is Obama listed under last the name hisstepfather of I Soetoro.understand thereis no record Obama that of everchanging his name fromSoetoro Obama to

GB OW .C OM
t-z+

12. I understand that obama'salleged copyof his longform birth certificate contains lettersof

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President ofthe Senate Joseph Biden

Dated W,,tra-z?

q, ZOl3

Please, forward the signedform to the Attorneyfor the plaintiffs

949-6g3-54 fax L1_, 949-766-7603 orly.taitz@gmail.com your earliestconvenience. to the great importanceto the at Due National security answers requested be sentimmediately fax or e-mailand followedup by are to by sending certified a copyby mail

orly Taitz29839SantaMargarita, 100,Rancho ste SantaMargarita, 92Ogg phone Ca

FR

IE

ND

OF

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GB OW .C OM

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PrintTemplate 13-70744 Case:

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Page

l of3

Newsmax

tMondav, Januarv 12, 2009 01:46 PM

The security breach, firct reported by the Washington Times and later confirmed 6y State Department spokesman Sean Mccormack, involved a contract employee of Brennan's firm, The Analysis Corp., which has eamed millions of dbllirs providing intelligence-related consulting services to federal agencies and pdvate companies. During a State Department briefing on lvlarch 21, 2008, Nlccormack confirmed that the contractor had accessed the passport files of presidential candidates Barack Obama, Hillary Rodham Clinton, and John l\4ccain, and that the inspector genelal had launched an investigalion Sources who tracked the investigation tell Newsmax that the main target of the breach was the Obama passport file, and that the contractor accessed the file in order to "cauterize" the records of potentially embarrassing information.

At the time

ofthe breach, Brennan was working as an unpaid adviser to the

Obama campaign.

applicantls name. gender. social security number' dale and place of bidh and passport number," according to the inspector general report.

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The files may contain additional information including "original copies of the associated documents," the report added. Such documents include birth certificates. naturalization certiflcates, or oaths of allegiance lor U S.-born persons who adopied the citizenship of a foreign country as mino's The Obama campaign acknowledged at its "Fight the Smeals'Web site that Obama was a foreign national untilthe age of 18, by virtue of his father's British then Kenyan citizenshiP.

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lhe passport files include 'personally identifiable information such as the

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"This individual's actions were taken without the knowledge or dircction of anyone at The Analysis Corp. and are who'ly inconsistent with our professional and ethical standads." Brennan s company said in a stalement senl lo repoders after the passpod breach was made public

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"Thev looked al lhe lvlccain and Clinton files as well to deate confuslon one knowledgeable source told Newsmax. "But this was basically an attempl to cauterize the Obama file."

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Obama's top terrorism and intelligence adviser, John O. Brennan, heads a flrm that was cited in March for breaching sensitive files in the State Department's passport office, according to a State Depadment lnspector General's report released this past July.

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"Since Sen. Obama has neither renounced his U.S. citizenship nor sworn an oath ofallegiance to Kenya, his Kenyan citizenship automatically expired on Aug.4,1982," the Web site siated.

"The truth is, Barack Obama was born in the state of Hawaii in 196'1. a native cilizen ofthe United States ofAmerica," the Web site states. However, "native citizen" is a colloquialism, not a legal term. lt is not the same as 'natural-born citizen,'lhe requiremenl to be president set out in Article 2, Seclion 1 ofthe Constitution.

Chief Justice John Roberls has scheduled a Supreme Courl conference on Jan. 23 on Lightfoot v. Bowen, one oi several cases alleging that Obama is not a "natulal born" cilizen because of his bidhright British citizenship. The State Department chalked up the passport flle snooping discovered in l\4arch 2008 to "imprudent curiosity" by contract employees hired to help process passport applications.

Ihe State Department Office of lnspector General (OlG) issued a 1o4-page

Acting Assistanl secretary for administration William H. Moser sent a sixpage reply concurring with the recommendation, all but one paragraph of which was blacked oul because ofthe sensitivity ofthe information it

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The problems posed by the breach were so serious that the inspector general recommended 'that the State Department conduci "vuherability and risk assessmenls otall passport syslems" to identiry security weaknesses and Suggest "a timetable for implementing corrective actions "

conlained

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report on the breach last July. Although it is stamped "Sensitive but Unclassifaed," the report was heavily redacted in the version released to the public, with page after page blacked out entirely.

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Following the breach, State Department managers met wiih Senate Foreign Relations Committee Chairman Joseph Biden, whose commiftee has oversight over the Foreign Service and the passport office. Biden will be sworn in as Obama's vice president on Jan. 20.

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Secretary of State Condoleezza Rice phoned Obama and personally apologized forlhe breach. "l told him that I myselfwould be very disturbed if I learned that somebody had looked into my passport flle," Rice told reportersShe phoned Clinton and Mccain and offered similar apologies.

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"l expect a full and thorough lnvestlgalion- lt should be done in conjunction with lhose congressional committees that have oversight so it's not simply an intemal matter." he added.

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Asked by reporters during a campaign stop in Portland, Ore., to comment on the breach, Obama said that attempts to "tap into people's personal records" were "a problem nol just lor me but for how our government functions-

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"Fight the Smears" attempled to debunk rumors that Obama was not a U.S. cilizen by producing a 2007 compute.-generated copy of his certification of live birth.

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Had Brennan been appointed CIA director, as rumored in the Obama campaign shortly afler the election, senators also would have questioned him about an article he wrote in an obscure foreign policy magazine over the summer, The article, entitled'The Conundrum of lran: Strengthening Moderales without Acquiescing to Belligerence," appeared in the July issue of"The Annals ofthe American Academy of Political and SocialScience." Among other recomrnendations, it argued that th next U.S. administration should grant political legitimacy to the tenorist organizations Hezbollah and Hamas, and should exercise "strategic patience" with lran rather than engaging in'bellicose" rhetoric and coercive diplomacy.

O 2013 Newsmax. All rights rcseNed.

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This is wND printer-fiiendly version ofthe article which follows. To view this ilem online. visil hftp://www.wnd.corn/2013/01/did-cia-pick-sanitize-obamas-passportrecords/

WNO EXCLUSIVE

DID CIA PICK SANIIIZE OBAMAIS PASSPORT RECORDS?


Employee breached files when cligibility issue during 2008 campaign

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EDITOR S NOTE: John Brennan's involverne in the hreLrch ol Obana's passport reconls vas prc|iousb) t'cporle.l in the inlrod tlion to,Ierontc R Corsi'.\ "ll hetu .\ lhe llilh Cdliliulc) Thc ( tt,']! Tlnt Bonu k Ohotu it \'ot l.li.gihle h lJt Prtilanr.'

on March

Breaking the story. the \\ ii\hingl,nl I inrc\ on Nlxrch 10. l00lt. noted that all threc had used lheir autho.ized computer network access to look Lrp and read Obama's records within the State Department consular all'airs
section that
_posscsses

and slores passpon infbrmation."

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''As tar as rve can tcll. in oach ofthe thrce cases. it was imprudent curiosity," Mccormack told the washingron l imes.
The spokesiran did not disclose exactly how the Statc Department catne lo that conclusion. By the nert day. the story had changed.

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Thc Nc\\ York Tinrcs reponed N10rch


searches

: l. f0011, that the security bteaoh had involvcd unauthodzed ofthe passpon records notjusl ofSen. Obama but also ofthcn-ptesidenlial contenders Sens. John Mccain and Ililjary Clinton.

Again. the New York Times attributed the breaches to "garden-variety snooping by idle emplo)'ees" that was 'not politically motivated."

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Contacted b),the newspaper, State Department spokesman Sean Mccormack attributed the violations to non-political rnotivationq. strc\sing thar the three individuals involvcd "did nol appear to be seeking inlormarion on bchullolanl polilical (andidalc or part) . '

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21. 2008. amid Obalna's first presidential campaign. two unnamed conlract employees lbr the State l)eparlment wcre fired and a third was disciplincd for breaching the passport file ofDemocratic presidential candidate and then-Sen. Barack Obama-

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NEw YORK John Brennan- the Obama counter-terrorism adviser nominated this week to hcad the CIA. played a controversial rolc in rlhat man)'suspcct was an effort to sanitize Obama's passpon records.

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n,JER0MER.C0RS| r,rrir lrrerrirc Jerorne Ii. corsi-a Hxrlard l'h.D.. is a wND senior statrreporter. He has authorcd many b "rnc obama Nation" and "Unfit for conimand." Corsi's latest book il "'

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Like the Washington Timcs. the New York Times gave no e\planation 10 back up its assertion that the breaches were aftributable to non-political tnalGasancc. SIill. thc Ne$ York Iirnes repon indicared rhen-Secretary ofStarc Condoleezza Rice had spenr Friday norning calling all thrce pres;dential oandidates and that she had told Obama that she was sorry for the violation.

''l told him that I myself \.\ould

file.
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be very d;sturbed

ifl

lcarned that somebod.v had looked into my passport

Ricl: said-

he newspaper quotcd Obanra as saying he appreciated the apology but that he expected the passport situation 'to be investigated diligcntly and openly."

According

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"One ofthe things that thc American people count on in ttleir inleractions with any ievel ofgovemnrent is that jfthcy have 1() disclosc personal infbrmation. that is going to sta)'personal and stay private." Obama lold reporters. "n nd when you have notjust one, but a series ofattempts to tap into peoplc's personal records. that's a problem. notjust for me. but for hor| our governmcnt is functioning." Thc New York Timcs notcd that the liles examined likely contained sensitive personal infbrmation, including Social Secur;ty numbenr^ addresses and dales ofbirth. as well as passport applications and other biographioal inlbrmation that would pertain to [J.S. citizenship. Only at the cnd ofthe article did the New York Timcs notc that Stalc Department spokcsman Mccormack had emphasized thc most egregious violation appeared to have been made againsl Obarna.
Obama was thc onl) one ofthe three presidcntial candidates involved who had his passport filc breached on tl ce separale occasions. Ihe lirst occurred Jan. 9.2008. lollowed by separate violations lreb. 2l and March l.l. 2008. Morcover. all three olthe offending employees had breached Obama's files. rvhile each of thc passport files of Mccain and Clinton had been breached only once.

'fhe New York l imes rroted the lwo olfending State Department conlract employecs who were fired had Norked fbr Stanley lnc.- a company based in Arlinglon. Va.. rvhile the reprimanded worker continued to be empb)ed by thc Analysis Corporation ofMcLean, Va.
nervspapcr gave no background on either corpomlion. olher than to note that Stanle) lnc. did "computcr work for the govemment."

At that time, Sldnlcy lnc. wds a 3,5o0-person lechnology firm that had just won a $570-million contmct to providc computer-related passporl serviccs to thc Statc Departmcnt.
Analysis Corporation was headcd by Brennan. a lbrmcr CIA agent \rho was then servin8 as an adviser on intelligence and loreign policy to Sen. Obama's presidcntial campaign.

Atler Obama's inauguration. Brennanjoincd the White House

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The Brennan connection

By March 12. 200{J. rhc \\'ishinllton I ines rcporlcd that thc Statc Department investigation had focused on the contaact worker fbr the Analysis Corporation. becalse he was the only one ofthc threc involved in breaching thc passport records ofboth Obama and Mccain. the two presidential candidalcs whose

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eligibiliO

Keeping with the lheme that thc motive for the passport brcach was attributablc to mischie,, the thrce State Department contract emplolecs received relatively liSht penahies for their ollenses - two wcre fired and
one was reprimanded.

Although at thc timc the State Department promised a full-scale invesligalion. lhe public was kept in the dark.

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nalional sccurity adviser for homeland security and counter-teftorism-

as

"natural born" citizcns under Article 2. Section I ofthe Conslitution $'ere in qucstion.

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New York'Iimcs report. Obama's tonc ofconcem was obvious.

as assistant to the president and deput)

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In\.sti_edi\ercpollcrKenncrh Iirnmermen said a well-placcd b t unnamed source told him thal the rcal point ofthe passport breach incidenls \!as to cauter;ze the Obama file, removing from it any inlirrmation that could provc darnaging to his cligibilily to be president.

According to the theory. Ihe breaches of Mccain's and Clinton's files were donc for misdirection purposes. to crcate confusion and to suggest the motives oflhc perpetrators were attribulable entirel) to innoccnt
curiosit-v.

Anolher thief cnters th csse

Within a few days, a new witncss surfaced unexpectedly" providing evidence that brcaching passport Iiles was an olTcnse bcing perpctrated by State I)cpartment officials on a massite and everyday basis.

'lhe casg centered on Leiutenant Quarlcs I larris Jr.. age 24. Haris. who spelled his named dillcrently than the omcer .ank. was a petty drug dealer and identity-theft criminal who ncver scrved in lhe military or in any policc or lire depart'ncnt.
25, 2008. at approxirlaiely 9:10 p.m., Officer william A. Smith Jr. ofihe D.C. Melropolilan Police Dcpa(ment s Narcotics Special lnvcstigation Division stopped an oncoming vchicle that had tinled windows he believed werc in vktation ofthe D.C. fintcd window Actof 1994.

on March

n llcr stopping the vchiclc. Sm;th lound thc drivcr. Hanis, and his femalc passcnger had bcen smoking marijuaDA. Flaris had stufted in hisjacket pocket a large clear ziplock bag containing l3 smaller clear ziplock bags. each l'illcd \rith mariiuana.
-l'he

allldr\ it oJ-crinrinal c(rnplilirrt lllcd bl Snrilh $ ilh lhe t .S. I)istrict C o rl specified that in the search ofthevchicle.lheotliccrsfoundl9differentcredilcardsrvithnamesdifferentfromHanisandhisfemale
passenger. Also discovered \rerc eighl State Department passport applications. also in names ditfercnt lrom Ilanis and his tamale passengcr.

application thell clearl: made him no ordinary pcft) criminal.

Another unnarned co-conspirator working at the [J.S. Postal Servicc intcrcepted the issued credit cards belbre they were delivcred to thc residences ofthe prsons named on the cards.

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What \\as clear from Harris stalcments was that breaching passpon records at thc State Depanment had developcd into maior cr;rninal activily conducied on a continrinS basis by State Department employces \!ith acccss lo the Stale Departmcnt'a Passport Infbnnation F:lcctronic Records System, commonly known by lbe acronym PIERS. What also was clcar \\.as that Harris had ;nformalion related to thc State Departmenl employees \vho had breacbed Obama's passport records and thal he was cooperating with government olllc;als.

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According to the criminal comnlaint Jllcd b! Smith. Haris admitled under questioning that he obtained the passport i0fortnation from an unnamed co-conspirator working at the State L)epadment. The complaint said the passport applications rvcre uscd to obtain credit cards in the names ofthe passport applicants.

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Snrith brought I Ianis to the D.C. N{etropolitan Police Sixth l)istrict. whcrc agents ofthe tJ.S. Sccret Service. the Slate Department and the [J.S. Postal Service questioned him- llarris involvement in passpon

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ofticers firrther discovcred lbur ol the names on thc passport applications matchc'd thc namcs on the credit cards. A cheok with American Express \\'hile Harris was still on the scene olthe tratllc slop indicaled fhat somc ofthe ,American E\press cards in his possession. but not in his name. had recently been used and that Anrcrican l-xprcss had placed a "fiaud alert'on the cards.

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ln J u ly 2 008. thc Stalc Departmcnt's Of}ice of I n spcctor Gencral issued a I o4-page invesligati! c report on the passport brcach incidents. slanped "Sensitive But tJnclassified." Thc report $as so hea!ily redacted. it was vi!'tually useless to Ibe public. Scores ofpassages were blacked out entirely, ;ncluding one scquence of 29 consecutive pages thal were each obliterated by a solid black box that made it impossible evcn to determine paragrapb slruclur(]s.

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Dcspite thc objeclion ofthc prosecutors. thcjudge at his armignment released Harris the next day on personal rccognizance. IIe was orderld to return to couft for a hearing in June 2008. Key witncss murdered

Hor\ever. Llarris did not Iivc


On

1(]

attend

fte court hearing.

April 18. 2008. he rvas lound murdered in Washin8ton. D.C., by a single bullet to the head in what appearcd to be a drive-by shooting.

The \\ arhingtor I irnc5 refo|l!.d .\pril i9. 1008. thar a 'key rvitness in a federal prcbe into passport infbrmation stolen lrom the State l)epartment was latall] shot in lront ofa District church'' at close range. around I I p-m.. in thc 2800 block of 12th Street NE, according lo the Mctropolilan Police Department.

llarris. \,ho the Washinglon Times describd as _cooperating with federal investigators," was found slumped dead at ihe steering wheel ofhis car in lront ol the Judah House Praise Baptist C'hurch in the northeast section of D.C., acoording to Commander Michael Anzallo. the head ofthe Mctropolitan Police Depanrnent rCriminrl lnrcsticatiorr. Division. A police olficer patrolling the neighborhood at the t;ne ofHarris'death heard gunshots and ran to the sccne, only to find Han;s dead insidc his car. ]'he Mctropolitan Police admitted a "shot spotter" device had been used to locate llanis in the shooting. although police ollicials declined to say whether his death was a direct result ol'his cooperation with lederal invcstigators.
T

here is no evidence that today Iinks Hanis- crimes or murdcr with the brcach ofObama's passport rccords by Stalc Depaftment contract emplolees.

At first glance. llarris could be dismissed as a fbot-soldier selling marijuana and peddling credit cards liaudulcntly obtained via passporl-related identily theli.

records withoul allthoriTation.

Equally obvious rvas (hat b-v' being rvilling to cooperate with police. Harris risked becoming a threat aoconplices and co-conspirators !vithin the Stalc Depaftment.

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Ye1 thcre is more to the story than petty criminal activity. Obviously, Hafiis got himself in wa] over his head when hc decided 1() work wirh fte State Dcpartmcnt officials accessing PIERS to obtain passporl

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ABC news alliliaIe WJLA-TV in Washington. D.C.. reporlcd Cleopatria Harris, ihe mother of l-eiulcnant Quarles Hanis. believcd her son was murdered to keep him from cooperating wi!h the lcderal invesligation into the passport-record breach. She told the l-V station her son was in court thrce days befbrc his murdcr.

Ilarris' molher rcnrsed 10 belicve her son's murder was an act olviolence unrelatd to the passport scheme. lnstcad. she contcnded he Nas killcd because he rvas an imporlant rvihess regarding a Slate Depanmcnt

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breach of passport reoords.

To dalc. the D.C- Metropolitan Police have no suspects in rhe still unsolvcd murder ofLeiutenant Quarlcs l-larris .lr. Nor has thc Stale Depa menl cver revealed publicly what was discovered in the breach of Obama s passport records. Thc thrce individuals involved in the breach have never come forward in public to tcll rvhat they tbund.

Obama discloses trip to Pakistan

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Similarly. the \\ ashington lbst rcporled Cleopalria Harris was "absolutely sure'- her ofhis iuvolvcnlent in the passport-credit card scam.

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"lle fell like hc was going

to dojail time. lle \!as willing to dojail ti'ne," she said. indicating that shc belicved nervs repons that her son had been arrcsted aDd was cooperating with the police were the reason hc rvas killed. "Yes I do. think it had a hell ofa lot to do with it. ['l he storyl madc my son appear Io be a snirch."
son was

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But lhis is not the cnd ofthe story.

l wo

weeks alier thc report that Obama's passpon records had been breached. candidatc Obtlra made thc sulT)rising disclosLrrc ar a pri\nte lindraiscr.{pril 7. ]001t. thar he had rru\'eled ro l)ukisla[ during his

.'ake Tapper. then slrnior \\ hile Ilouse correspondent lbr AB( \c\!s" cornmcnled that Obama's disclosure that he had laken a college trip 1() Palistan was "news to mosl ofus." Tapper said "it was odd we hadn't heard about it beforc- given all the talk ofPakistan during this campaign." Tapper reponed tha{, according lo the Obana campaign. Obama visited Pakislan in I98 I, the year he lransfeted lrom Occidental College to Columbia University. and that he had visited his mothcr and sister Maya in Indonesia on the same irip.

Why was Obama disclosing no*, for the firsl time. that he had traveled to Pakistan with his roommates liom Occidental College?

Did Obanra use an Indonesian passpoft to travel to lndonesia and Pakistan in 1981. and was he concemcd thc breach ofhis passport records might end up disclosing such information. iftruc?
Thc attempt to preempt such a disclosure might explain the timing ofObama's decision to suddenly reveal, al least to the friends assemblcd for the Iundraiser. the previously undisclosed trip to Indonesia and
Pakistan-

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O Copyrlght 1997-2013.

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travelcd to Pakistan when I was in college." Obama is heard saying on thc poor-quality audiotape that survives from the San Francisco fundraiser. "l knew rvhat Sunniand Shia $as [sic] beforc ljoined the Senate Forcign Rclations Commiltee."

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