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#:4860
EXHIBIT “45”
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 2 of 29 Page ID
#:4861
Exhibit "54"
Pg. 404
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 3 of 29 Page ID
http://www.orlytaitzesq.com/?p=1648 #:4862
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THERE IS TYRANNY.
THERE IS LIBERTY.
- Thomas Jefferson
The articles posted represent only the opinion of the writers, do not necessarily represent the opinion of Dr. Taitz, ESQ, and Dr. Taitz, ESQ has no means of
checking the veracity of all the claims and allegations in the articles.
Berg
Posted on | May 28, 2009 | 10 Comments
Exhibit "45"
Pg. 405
1 of 26 4/30/2011 7:27 PM
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 4 of 29 Page ID
#:4863
Exhibit "45"
Pg. 406
2 of 26 4/30/2011 7:27 PM
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 5 of 29 Page ID
#:4864
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Exhibit "45"
Pg. 407
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 6 of 29 Page ID
#:4865
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LISA LIBERI §
And §
PHILIP J. BERG, ESQUIRE § CIVIL ACTION NO. 09-1898
And §
THE LAW OFFICES OF PHILIP J. BERG §
And §
EVELYN ADAMS a/k/a MOMMA §
E and §
LISA M. OSTELLA §
And § Assigned to Honorable Eduardo C.
GO EXCEL GLOBAL, § Robreno
§
Plaintiffs
§
§
§
Vs. §
§
§
ORLY TAITZ, a/k/a DR. ORLY TAITZ, §
a/k/a LAW OFFICES OF ORLY TAITZ, §
a/k/a WWW.ORLY TAITZESQ.COM a/k/a §
WWW.REPUBX.COM a/k/a ORLY TAITZ §
And §
LINDA SUE BELCHER a/k/a LINDA S. §
BELCHER a/k/a LINDA STARR a/k/a §
NEWWOMENSPARTY a/k/a §
STITCHENWITCH a/k/a EVA BRAUN §
a/k/a WEB SERGEANT a/k/a KATY a/k/a §
WWW.OBAMACITIZENSHIPDEBATE.ORG §
And §
EDGAR HALE a/k/a JD SMITH, §
And §
CAREN HALE, §
Exhibit "45"
Pg. 408
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 7 of 29 Page ID
#:4866
And §
PLAINS RADIO NETWORK, §
a/k/a PLAINS RADIO NETWORK, §
INC. a/k/a §
PLAINS RADIO, §
And §
BAR H FARMS; §
And §
KPRN AM 1610; §
And §
DOES 1 through 200 Inclusive §
§
Defendants §
ANSWER
____________________
I, Orly Taitz, certify that a true and correct copy of the foregoing was mailed to Philip Berg on this 22
day of May, 2009 via Overnight Federal Express and via ForSure Legal Services Service of Process, 250
Woodlake Dr. Holland PA 18966
_____________________
Orly Taitz
LISA LIBERI §
And §
PHILIP J. BERG, ESQUIRE § CIVIL ACTION NO. 09-1898
And §
THE LAW OFFICES OF PHILIP J. BERG §
Exhibit "45"
Pg. 409
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 8 of 29 Page ID
#:4867
And §
EVELYN ADAMS a/k/a MOMMA §
E and §
LISA M. OSTELLA §
And § Assigned to Honorable Eduardo C.
GO EXCEL GLOBAL, § Robreno
§
Plaintiffs
§
§
§
Vs. §
§
§
ORLY TAITZ, a/k/a DR. ORLY TAITZ, §
a/k/a LAW OFFICES OF ORLY TAITZ, §
a/k/a WWW.ORLY TAITZESQ.COM a/k/a §
WWW.REPUBX.COM a/k/a ORLY TAITZ §
And §
LINDA SUE BELCHER a/k/a LINDA S. §
BELCHER a/k/a LINDA STARR a/k/a §
NEWWOMENSPARTY a/k/a §
STITCHENWITCH a/k/a EVA BRAUN §
a/k/a WEB SERGEANT a/k/a KATY a/k/a §
WWW.OBAMACITIZENSHIPDEBATE.ORG §
And §
EDGAR HALE a/k/a JD SMITH, §
And §
CAREN HALE, §
And §
PLAINS RADIO NETWORK, §
a/k/a PLAINS RADIO NETWORK, §
INC. a/k/a §
PLAINS RADIO, §
And §
BAR H FARMS; §
And §
KPRN AM 1610; §
And §
DOES 1 through 200 Inclusive §
§
Defendants §
Exhibit "45"
Pg. 410
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 9 of 29 Page ID
#:4868
1. Current action has no nexus to the State of Pennsylvania and no subject matter jurisdiction.
The defendants do not reside within this jurisdiction within the meaning of 28 U.S.C.A. §
1391 (b) and the claim for which this action arose is outside of this
2. Above legal action stems from fraudulent use of name and Good Will of Defend Our Freedoms
foundation by web master Lisa Ostella, (hereinafter Ostella) plaintiff in this action, resident of
New Jersey and financial benefit drawn by other plaintiffs in this action as a result of Ostella’s
activities.
3. Defend Our Freedoms foundation is registered in the state of California by Orly Taitz, ESQ
(Taitz, hereinafter), president of the foundation, resident of the state of California as well.
Initial registration form, State of California, Office of the Attorney General, Registry of
Charitable Trusts submitted on December 17, 2008, Recorded in Orange County, California
12.23.08
4. Orly Taitz never went by the name www.repubx.com and it is not an a/k/a of Orly Taitz.
Repubx.com is a web site/blog, owned by another party, with no relation to this action.
5. www.orlytaitzesq.com is not a legal entity and not an a/k/a for Orly Taitz.
6. Orly Taitz, inc is not an a/k/a for Orly Taitz. It is a name of a dental practice in California,
7. Law offices of Orly Taitz are not an a/k/a for Orly Taitz. It is a name of a law office with no
8. Plaintiff Lisa Liberi (hereinafter Liberi) is a Resident of the State of New Mexico. Plaintiff’s
attorney Philip Berg (Hereinafter Berg) has listed Liberi‘s address to be an address of his office
in Pennsylvania, however Liberi does not reside in the state of Pennsylvania nor physically
Exhibit "45"
Pg. 411
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 10 of 29 Page ID
#:4869
work in Berg’s office in the state of Pennsylvania. Liberi is an assistant, who has some legal
background related to her own criminal convictions and who assists Berg occasionally via e-
mails, phone and mail sent from her residence in New Mexico. Berg has improperly asserted
her residence in Pennsylvania, due to the fact that this is a state where he is licensed to
practice law, in order to try to obfuscate her real residence in New Mexico and improperly
bring a legal action in the state of Pennsylvania. Liberi claims that she was defamed by Orly
Taitz, disclosing to the public, Court printout of Liberi’s convictions of forgery and grand theft.
Taitz denies all allegations and assets that all of the information provided was truthful and
convictions in San Bernardino county, California) Liberi’s prosecuting district Attorney James
Secord is in San Bernardino County, California; arresting officer and all of the detectives are in
the state of California, numerous victims of her criminal activity and potential witnesses in this
action are in the state of California, therefore a proper jurisdiction for this action and
9. Liberi got an eight year term in January 2008 in California, she is currently on probation and
would be extradited back to California to serve her term, if she indeed violated the conditions
of her probation.
10. When Ostella fraudulently represented herself as Defend Our Freedoms foundation and
solicited donations for the Defend Our Freedoms Foundation, Taitz has written a cease and
desist letter to Ostella, Berg and Adams, who were benefiting from Ostella’s activities.
11. When the above activity did not cease and desist, Taitz has filed a police report, describing
donations fraudulently misdirected from Defend our freedoms foundation. The report 09-
068339 was filed in the city of registration of the foundation, Mission Viejo in the state of
California, which would be a proper jurisdiction in this action. (Addendum 2- Orange County,
California Recording for Defend Our Freedoms Foundation, Addendum 3 Police report 09-
068339)
Exhibit "45"
Pg. 412
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 11 of 29 Page ID
#:4870
12. Liberi, had developed a modus operandi of filing malicious and frivolous law suits against
victims of her criminal behavior, law enforcement and judiciary in order to gain some
advantage in her criminal prosecution and in fact she has filed so many frivolous complaints
and legal actions against the District Attorney, District Attorney’s office, Presiding Judge, police
officers, detectives, her own defense attorneys, San Bernardino County in California and even
hospital, where she was treated, that as a condition of her probation, she is obligated to
properly clear with her probation department any legal action she is planning to file. If Liberi
did not fulfill her obligation, probation will be revoked and she will be extradited from New
Mexico to California to serve her eight year prison term, which makes California a proper
Jurisdiction. (addendum 1 )
13. Most of victims of Liberi’s malicious and frivolous law suits reside in the state of California,
14. Liberi has gotten a reduction of her prison term to probation due to her claim of being sick
and disabled. Taitz has called District Attorney of San Bernardino County James Secord and
verified, that Liberi is on disability and receiving disability payments from Social Security
Administration. In current case Berg states that Liberi is employed at his office. If indeed Berg
is paying or was paying Liberi a salary or any other payment directly or indirectly through her
husband Brent Liberi, while Liberi was receiving social security payments for disability, that
would constitute Social Security fraud, violation of her probation and would be grounds for her
extradition to California to serve her eight year prison term, which makes the state of
15. Due to the fact, that Liberi was convicted of economic crimes and forgery of documents, as a
condition of her probation, she is not allowed to have any access to credit cards belonging to
others or bank accounts belonging to others. Berg’s office was handling a large donations
drive. If indeed Liberi directly or indirectly was handling credit cards or credit card accounts of
Exhibit "45"
Pg. 413
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 12 of 29 Page ID
#:4871
others, she will be in violation of her probation and will be extradited to California, a proper
16. Due to the above, Berg, an attorney for Ostella, Liberi and Adams being concerned that upon
completion of the police investigation in California, Taitz will file a legal action against his
clients and him personally, improperly filed a legal action in Pennsylvania with no nexus to the
dispute at hand, with the sole purpose of harassing and intimidating Taitz and other
Due to the above defendants respectfully request dismissal of the current action in the state of
Pennsylvania due to lack of subject matter jurisdiction and personal jurisdiction. Venue was improperly
under 28 U.S.C.A. §1391 (b)
Wherefore, defendants demand judgment that the complaint be dismissed, together with the costs
and disbursements of this action.
Dated 05.21.09.
Pro Se and on behalf of Defend our Freedoms Foundation and as a president of Defend Our Freedoms
Foundation
Exhibit "45"
Pg. 414
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 13 of 29 Page ID
#:4872
to lack of subject ma §1391 (b)
er jurisdic on and personal jurisdic on. Venue was improperly under 28 U.S.C.A.
Wherefore, defendants demand judgment that the complaint be dismissed, together with the costs and
disbursements of this ac on.
Dated 05.21.09.
Seq Defendant Next Court Date Status Agency / Arrest Date Count 1 Charge Violation Date
DR Number
Custody N/A
Warrant
Case Type Status
FWV028000 Issued 1608112Affidavit
Defendant LIBERI, LISA RENEE – Charges
Exhibit "45"
Pg. 415
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 14 of 29 Page ID
#:4873
Arrest Charges
Filed Charges
Infor Charges
Exhibit "45"
Pg. 416
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 15 of 29 Page ID
#:4874
Count Charge Severity Description Violation Plea Status
Date
Exhibit "45"
Pg. 417
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 16 of 29 Page ID
#:4875
ALIAS: RICHARDSON, LISA C
Custody N/A
N/A N/A
0 N/A
Arrest Charges
Infor Charges
SUPERVISED PROBATION GRANTED FOR A PERIOD OF 36 MONTHS ON FOLLOWING TERMS AND CONDITIONS:
Exhibit "45"
Pg. 420
Berg | Dr. Orly Taitz Esquire http://www.orlytaitzesq.com/?p=1648
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 19 of 29 Page ID
#:4878
1) SERVE 26 DAYS IN A SAN BERNARDINO COUNTY JAIL FACILITY, WITH CREDIT FOR TIME SERVED, A
MATTER OF 26 DAYS, PLUS CONDUCT CREDIT PURSUANT TO 1-PC4019 ND ABIDE BY ALL RULES AND
REGULATIONS OF THE FACILITY WITHOUT THE POSSIBILITY OF COUNTY PAROLE.
2) VIOLATE NO LAW.
4) COOPERATE WITH THE PROBATION OFFICER IN A PLAN OF REHABILITATION AND FOLLOW ALL
REASONABLE DIRECTIVES OF THE PROBATION OFFICER.
5) SEEK AND MAINTAIN GAINFUL EMPLOYMENT, OR ATTEND SCHOOL, AND KEEP THE PROBATION
OFFICER INFORMED OF STATUS OF EMPLOYMENT, OR SCHOOL.
6) KEEP THE PROBATION OFFICER INFORMED OF PLACE OF RESIDENCE AND COHABITANTS AND GIVE
WRITTEN NOTICE TO THE PROBATION OFFICER TWENTY-FOUR (24) HOURS PRIOR TO ANY CHANGES.
PRIOR TO ANY MOVE PROVIDE WRITTEN AUTHORIZATION TO THE POST OFFICE TO FORWARD MAIL
TO THE NEW ADDRESS. PERMIT VISITS AND SEARCHES OF PLACES OF RESIDENCE BY AGENTS OF
THE PROBATION DEPT. AND/OR LAW ENFORCEMENT FOR THE PURPOSE OF ENSURING COMPLIANCE
WITH PERMIT VISITS AND SEARCHES OF PLACES OF RESIDENCE BY AGENTS OF THE PROBATION
DEPT. AND/OR LAW ENFORCEMENT FOR THE PURPOSE OF ENSURING COMPLIANCE WITH PERMIT
VISITS AND SEARCHES OF PLACES OF RESIDENCE BY AGENTS OF THE PROBATION DEPT. AND/OR
LAW ENFORCEMENT FOR THE PURPOSE OF ENSURING COMPLIANCE WITH THE TERMS AND
CONDITIONS OF PROBATION; NOT DO ANYTHING TO INTERFERE WITH THIS REQUIREMENT, OR
DETER OFFICERS FROM FULFILLING THIS REQUIREMENT, SUCH AS THE TERMS AND CONDITIONS OF
PROBATION; NOT DO ANYTHING TO INTERFERE WITH THIS REQUIREMENT, OR DETER OFFICERS
FROM FULFILLING THIS REQUIREMENT, SUCH AS ERECTING ANY LOCKED FENCES/GATES THAT
WOULD DENY ACCESS TO PROBATION OFFICERS, OR HAVE ANY ANIMALS ON THE PREMISES THAT
WOULD REASONABLY DETER, ERECTING ANY LOCKED FENCES/GATES THAT WOULD DENY ACCESS
TO PROBATION OFFICERS, OR HAVE ANY ANIMALS ON THE PREMISES THAT WOULD REASONABLY
DETER, THREAT THREATEN THE SAFETY OF, OR INTERFERE WITH, OFFICERS ENFORCING THIS
TERM. EN THE SAFETY OF, OR INTERFERE WITH, OFFICERS ENFORCING THIS TERM.
7) NEITHER POSSESS NOR HAVE UNDER YOUR CONTROL ANY DANGEROUS OR DEADLY WEAPONS OR
EXPLOSIVE DEVICES OR MATERIALS TO MAKE EXPLOSIVE DEVICES.
SUBMIT TO A SEARCH AND SEIZURE OF YOUR PERSON, RESIDENCE AND/OR PROPERTY UNDER
YOUR CONTROL AT ANY TIME OF THE DAY OR NIGHT BY ANY LAW-ENFORCEMENT OFFICER, WITH
OR WITHOUT A SEARCH WARRANT, AND WITH OR WITHOUT CAUSE (PEOPLE -V- BRAVO).
9) NEITHER USE NOR POSSESS ANY CONTROLLED SUBSTANCE WITHOUT MEDICAL PRESCRIPTION. A
PHYSICIANS’S WRITTEN NOTICE IS TO BE GIVEN TO THE PROBATION OFFICER.
10) SUBMIT TO A CONTROLLED SUBSTANCE TEST AT DIRECTION OF PROBATION OFFICER. EACH TEST IS
SUBJECT TO AN $11.00 FEE, TO BE COLLECTED BY CENTRAL COLLECTIONS
13) NOT ASSOCIATE WITH KNOWN CONVICTED FELONS OR ANYONE ACTIVELY ENGAGED IN CRIMINAL
ACTIVITY B-OR CODEFENDANT(S) OR VICTIM(S).
14) NOT ASSOCIATE WITH KNOWN ILLEGAL USERS OR SELLERS OF CONTROLLED SUBSTANCES,
15) NOT MAINTAIN A CHECKING ACCOUNT OR COMPLETE OR ENDORSE ANY CHECKS UNLESS MADE
PAYABLE TO YOU AND NOT HAVE ANY BLANK CHECKS IN YOUR POSSESSION WITHOUT PERMISSION
OF THE PROBATION OFFICER.
Exhibit "45"
Category: Supporting Documentation, Uncategorized
Pg. 421
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 20 of 29 Page ID
#:4879
EXHIBIT “46”
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 21 of 29 Page ID
#:4880
Exhibit "46"
Pg. 422
Follow up on Sen, Inhofe and possible visit to Tulsa OK | Dr. Orly Taitz ... http://www.orlytaitzesq.com/?p=1757
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 22 of 29 Page ID
http://www.orlytaitzesq.com/?p=1757 #:4881
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THERE IS TYRANNY.
THERE IS LIBERTY.
- Thomas Jefferson
The articles posted represent only the opinion of the writers, do not necessarily represent the opinion of Dr. Taitz, ESQ, and Dr. Taitz, ESQ has no means of
checking the veracity of all the claims and allegations in the articles.
I might be going to Tulsa, OK this coming WD, it is not final yet. There is movement in re. to Sen. Inhofe. His
aid Ellen Broun, working in DC office in Hart senate building was put in charge of investigating the issue of
BO’s ineligibility for Sen. Inhofe. Ellen does not want any blog article or e-mails. She wants only documents
and statements and she wants those mailed to her. Please forward to her my dossiers. #6 and #1 are most
important.
Category: Uncategorized
Exhibit "46"
Pg. 423
1 of 2 5/1/2011 12:06 AM
Follow up on Sen, Inhofe and possible visit to Tulsa OK | Dr. Orly Taitz ... http://www.orlytaitzesq.com/?p=1757
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 23 of 29 Page ID
#:4882
Comments
1. Nick
May 29th, 2009 @ 10:15 pm
2. Ron
May 29th, 2009 @ 10:43 pm
3. dr_taitz@yahoo.com
May 29th, 2009 @ 11:47 pm
4. queenofshina
May 30th, 2009 @ 1:08 am
5. Tia
May 30th, 2009 @ 1:02 pm
Dr Orly, what is her postal address, as you have stated, she didn’t want emails.
6. dr_taitz@yahoo.com
May 30th, 2009 @ 1:42 pm
Exhibit "46"
Pg. 424
2 of 2 5/1/2011 12:06 AM
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 24 of 29 Page ID
#:4883
EXHIBIT “47”
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 25 of 29 Page ID
#:4884
Exhibit "47"
Pg. 425
I am trying to stay away from Liberi-Berg issue, but i got more questions a... http://www.orlytaitzesq.com/?p=1843
Case 8:11-cv-00485-AG -AJW Document 190-8 Filed 05/20/11 Page 26 of 29 Page ID
http://www.orlytaitzesq.com/?p=1843 #:4885
VIDEOS
Home
THERE IS TYRANNY.
THERE IS LIBERTY.
- Thomas Jefferson
The articles posted represent only the opinion of the writers, do not necessarily represent the opinion of Dr. Taitz, ESQ, and Dr. Taitz, ESQ has no means of
checking the veracity of all the claims and allegations in the articles.
You can also see (in the attachment) that she was the one that contacted the private investigator Mr. Sankey,
and provided him the information that Lisa Liberi , assistant to Phil Berg, has a criminal record. Based on
her report Mr. Sankey has investigated and confirmed this information, that indeed Lisa Liberi has this
lengthy record of forgery of documents and forgery of an official seal and grand theft. Lisa Ostella changed
her tune only after this whole issue with pay-pal came out. At first she and the rest of the plaintiffs came out
with an outrageous lie that my husband was spying on people. Now they dismissed their law suit against my
husband- and everybody knows that it was a manufactured charge.
As you can see, she was well aware about Liberi’s criminal record, as was Berg and Liberi herself. Their legal
action is nothing but perjury and an attempted obstruction of justice. I have written in the pleadings that the
only address that Liberi provided, was Berg’s office address and the reason is that she indeed resides in
NM and is the Lisa Liberi with the criminal record. I received an e-mail recently that in the last couple of
days Lisa Liberi has gotten a PA drivers license. If she got one in the last couple of days, that doesn’t change
the fact that she resided in NM and that all of them committed perjury. If anything, getting a PA drivers
license now is yet another attempt to obstruct justice.
As I have said before, I don’t get intimidated by either Obama or by Berg. One cannot file a fraudulent and
malicious legal action against me and expect to shut me up and make me stop reporting on illegal and criminal
activity. All that these people are doing, is adding counts of fraud, perjury and obstruction of justice. The
only thing Berg can do, is come clean, disassociate himself from Lisa Liberi, who has a record of forgery and
he needs to hire a forensic document examiner to check all the records handled by Lisa Liberi. We cannot
win in court with forged records. This information was already on the blogs before I got it and it will be on the
blogs, his continuing denial of clear evidence has no merit and undermines everybody in the resistance
movement, everybody who wants to get to the truth. The only way to win, is by clean evidence, unsealing the
vital records and letting the Supreme Court decide the issue of the Natural Born Citizen.
Category: Uncategorized
Comments
7 Responses to “I am trying to stay away from Liberi-Berg issue, but i got more questions and here is more
info.”
2. dr_taitz@yahoo.com
May 31st, 2009 @ 8:20 pm
I don’t know if she forged the documents that he presented, but she has an extensive police record of
forgery of documents and she was convicted here in CA last year
3. Phoebe
May 31st, 2009 @ 9:57 pm
Is california a community property state? Does that mean Yosef’s assets are in jeopardy as well?
4. sillyhaha
June 1st, 2009 @ 2:46 am
Is it possible that Lisa L forged the Indonesian school record and the two affidavits from the African
ministers?
Could Lisa L and Berg just be scamming people for Pay Pal money?
I donated to Berg 5 months ago, before I knew anything about Lisa L. I may have to ask for a refund.
5. Linda Starr
June 5th, 2009 @ 11:59 am
There is ample evidence that plaintiff’s have each made false sworn affidavits to one or more courts.
The truth is an absolute affirmative defense to false allegations of defamation.
Just yesterday I posted a comparison of statements in two cited cases on my blog , one where this PA
attorney was sued for malpractice and in another where he claimed he did not have any grievance
against him. Funny how he left out the malpractice suit for negligence because he defaulted on filing a
timely answer in a related case.
Yet somehow, I am supposed to be the one damaging their so-called great “professional” reputations!
As a result of their false assumptions, we are sued for defamation for allegedly speaking the truth! This
claim of their reputations being damaged by defamation is the grossest lie of them all! By their own
actions they destroyed their reputations all on their own. There isn’t any place where I publicly posted
any confidential information.
I trusted these people and was not only deceived, but have been grossly defamed and betrayed. These
people don’t know what the words friend, loyalty, or honor means; much less understand the concepts
of truth and/or attorney client privilege. And I’m not even talking about myself here. This lawyer is
going to find out the hard way, in court, that his assistant has a big mouth!
And for the record and everyone’s edification, five minutes after the deadline passed for respondent’s
to have their answer in, this lawyer runs whining to the court and attempts to get defaults on defendants
due to a delay in mail delivery, when he had been served with copies. The answers were filed timely,
Exhibit "47"
Pg. 429
4 of 4 5/1/2011 12:27 AM