Sunteți pe pagina 1din 129

15-3400 Docket

https://ecf.ca3.uscourts.gov/cmecf/servlet/TransportRoom

General Docket
Third Circuit Court of Appeals
Court of Appeals Docket #: 15-3400
Nature of Suit: 3530 Habeas Corpus
Lisa Lambert v. Superintendent Framingham MCI, et al
Appeal From: United States District Court for the Eastern District of Pennsylvania
Fee Status: Due

Docketed: 10/08/2015

Case Type Information:


1) civil
2) private
3) Habeas Corpus-prisoner
Originating Court Information:
District: 0313-2 : 5-14-cv-02559
Court Reporter: Joan Carr
Trial Judge: Paul S. Diamond, U.S. District Judge
Date Filed: 05/02/2014
Date Order/Judgment:
Date Order/Judgment EOD:
09/14/2015
09/14/2015

Date NOA Filed:


09/30/2015

Prior Cases:
None
Current Cases:
None

LISA MICHELLE LAMBERT


Plaintiff - Appellee

Jeremy H.G. Ibrahim, Sr., Esq.


Direct: 215-568-1943
Email: jeremyibrahim.esq@verizon.net
Fax: 610-456-2727
[NTC Retained]
P.O. Box 1025
1631 Baltimore Pike
Chadds Ford, PA 19317

v.
SUPERINTENDENT FRAMINGHAM MCI
Defendant - Appellee

District Attorney Lancaster County


[NTC city/county gov]
Lancaster County Office of District Attorney
50 North Duke Street
Lancaster, PA 17608

DISTRICT ATTORNEY LANCASTER COUNTY


Defendant - Appellee

District Attorney Lancaster County


[NTC city/county gov]
(see above)

ATTORNEY GENERAL PENNSYLVANIA


Defendant - Appellee

District Attorney Lancaster County


[NTC city/county gov]
(see above)

-----------------------------STANLEY J. CATERBONE
Not Party - Appellant

15-3400 Lambert Appeal


1 of 5

Stanley J. Caterbone
Direct: 717-669-2163
Email: scaterbone@live.com
[NTC Pro Se]
1250 Fremont Street
Lancaster, PA 17603

Page 1 of 129

Saturday, December 19, 2015


12/19/2015 4:22 AM

15-3400 Docket

https://ecf.ca3.uscourts.gov/cmecf/servlet/TransportRoom

LISA MICHELLE LAMBERT


v.
SUPERINTENDENT FRAMINGHAM MCI;
DISTRICT ATTORNEY LANCASTER COUNTY;
ATTORNEY GENERAL PENNSYLVANIA
*Stanley J. Caterbone,
Appellant
*(Pursuant to Rule 12(a), Fed.R.App.P.)

15-3400 Lambert Appeal


2 of 5

Page 2 of 129

Saturday, December 19, 2015


12/19/2015 4:22 AM

15-3400 Docket

https://ecf.ca3.uscourts.gov/cmecf/servlet/TransportRoom

10/08/2015
30 pg, 3.25 MB

10/08/2015

CIVIL CASE DOCKETED. Notice filed by Appellant Mr. Stanley J. Caterbone in District Court No. 5-14-cv02559. [-The notice of appeal that was attached to the entry was the incorrect document. The notice of
appeal has been corrected and notice is being resent.]--[Edited 10/09/2015 by CJG] (SB)
RECORD available on District Court CM/ECF. (SB)

2 pg, 27.26 KB

LEGAL DIVISION LETTER SENT advising that the case will be submitted to a panel of this Court for a
decision on the issuance of certificate of appealability and possible summary action. (JW)

42 pg, 4.58 MB

ECF FILER: EXHIBITS filed by Appellant Mr. Stanley J. Caterbone for the Court's consideration. Certificate
of Service dated 10/21/2015.--[Edited 10/22/2015 by CJG] (SJC)

0 pg, 0 KB

ECF FILER: Motion filed by Appellant Mr. Stanley J. Caterbone to proceed In Forma Pauperis. Certificate
of Service dated 10/21/2015. (SJC)

312 pg, 15.13 MB

ECF FILER: EXHIBITS filed by Appellant Mr. Stanley J. Caterbone for the Court's consideration. Certificate
of Service dated 10/22/2015.--[Edited 10/22/2015 by CJG] (SJC)

1 pg, 28.36 KB

COPY OF ORDER OF DISTRICT COURT dated 10/21/2015 denying Mr. Caterbone's motion to proceed in
forma pauperis signed by Paul S. Diamond, filed. (CJG)

44 pg, 4.6 MB

ECF FILER: DOCUMENT by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit. Certificate of
Service dated 10/23/2015.--[Edited 10/23/2015 by CJG] (SJC)

10/09/2015
10/21/2015
10/21/2015
10/22/2015
10/22/2015
10/23/2015

ECF FILER: Request by Appellant Mr. Stanley J. Caterbone for Oral Argument. [SEND TO MERITS] (SJC)

10/26/2015
194 pg, 22.28 MB

10/27/2015
2 pg, 21.62 KB

11/02/2015
227 pg, 29.4 MB

11/03/2015
8 pg, 1.94 MB

11/03/2015

FOLLOW UP LETTER to District Attorney Lancaster County for Attorney General Pennsylvania,
Superintendent Framingham MCI and District Attorney Lancaster County and Jeremy H.G. Ibrahim, Sr.,
Esq. for Lisa Michelle Lambert requesting the following document(s): Appearance Form on or before
11/10/2015. (CJG)
ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/02/2015.--[Edited 11/02/2015 by CJG] (SJC)
ORDER (Clerk) The motion proceed in forma pauperis is held in abeyance pending the submission of an
additional document. Appellant must submit this Court's affidavit of poverty within 14 days of the date of
this order or the appeal may be dismissed, filed. (CJG)

462 pg, 53.19 MB

ECF FILER: DOCUMENTS by Appellant Mr. Stanley J. Caterbone titled Submissions as Exhibits.
Certificate of Service dated 11/03/2015.--[Edited 11/03/2015 by CJG] (SJC)

528 pg, 20.01 MB

ECF FILER: DOCUMENT by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit. Certificate of
Service dated 11/04/2015.--[Edited 11/05/2015 by CJG] (SJC)

0 pg, 0 KB

ECF FILER: Motion filed by Appellant Mr. Stanley J. Caterbone to proceed In Forma Pauperis. Certificate
of Service dated 11/04/2015. (SJC)

6 pg, 134.36 KB

ECF FILER: ARGUMENT In Response to Summary Action from Appellant Mr. Stanley J. Caterbone, filed.
Certificate of Service dated 11/06/2015 by ECF.--[Edited 11/06/2015 by MLR] (SJC)

174 pg, 33.18 MB

ECF FILER: DOCUMENT by Appellant Stanley J. Caterbone titled Submission as Exhibit. Certificate of
Service dated 11/06/2015.--[Edited 11/10/2015 by CJG] (SJC)

45 pg, 312.16 KB

ECF FILER: Motion filed by Appellant Mr. Stanley J. Caterbone Consideration for fees in the amount of
$284,702.50. Certificate of Service dated 11/07/2015.--[Edited 11/10/2015 by CJG] (SJC)

11/04/2015
11/04/2015
11/06/2015
11/06/2015
11/07/2015
11/09/2015
2 pg, 46.85 KB

11/10/2015

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit "Audio
File of Authentic Recordings of 1987 and 1991". Certificate of Service dated 11/09/2015.--[Edited
11/10/2015 by CJG] (SJC)

102 pg, 4.75 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/10/2015.--[Edited 11/10/2015 by CJG] (SJC)

91 pg, 21.28 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/10/2015.--[Edited 11/10/2015 by CJG] (SJC)

11/10/2015
11/13/2015

ORDER (Clerk) The Motion Proceed In Forma Pauperis is referred to a motions panel, filed. (CJG)
1 pg, 6.04 KB

11/13/2015
185 pg, 19.73 MB

ECF FILER: DOCUMENT by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit. Certificate of
Service dated 11/13/2015.--[Edited 11/16/2015 by CJG] (SJC)

91 pg, 37.06 MB

ECF FILER: DOCUMENT by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit. Certificate of
Service dated 11/16/2015.--[Edited 11/16/2015 by CJG] (SJC)

1585 pg, 37.55 MB

ECF FILER: 3DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled submission as exhibit.
Certificate of Service dated 11/17/2015.--[Edited 11/19/2015 by CJG] (SJC)

807 pg, 79 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/18/2015.--[Edited 11/19/2015 by CJG] (SJC)

11/16/2015
11/17/2015
11/18/2015

15-3400 Lambert Appeal


3 of 5

Page 3 of 129

Saturday, December 19, 2015


12/19/2015 4:22 AM

15-3400 Docket

https://ecf.ca3.uscourts.gov/cmecf/servlet/TransportRoom

11/19/2015
232 pg, 10.74 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/19/2015.--[Edited 11/19/2015 by CJG] (SJC)

232 pg, 9.11 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/20/2015.--[Edited 11/23/2015 by CJG] (SJC)

69 pg, 17 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/21/2015.--[Edited 11/23/2015 by CJG] (SJC)

275 pg, 20.95 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/22/2015.--[Edited 11/23/2015 by CJG] (SJC)

3 pg, 1.86 MB

ECF FILER: Motion filed by Appellant Mr. Stanley J. Caterbone for 30 Day Continuance. Certificate of
Service dated 11/22/2015.--[Edited 11/23/2015 by CJG] (SJC)

11/20/2015
11/21/2015
11/22/2015
11/22/2015
11/24/2015
1 pg, 71.71 KB

783 pg, 35.13 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/25/2015.--[Edited 11/25/2015 by CJG] (SJC)

128 pg, 16.12 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/27/2015.--[Edited 12/01/2015 by CJG] (SJC)

94 pg, 10.13 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/28/2015.--[Edited 12/01/2015 by CJG] (SJC)

122 pg, 15.55 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/29/2015.--[Edited 12/01/2015 by CJG] (SJC)

5 pg, 931.06 KB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 11/30/2015.--[Edited 12/01/2015 by CJG] (SJC)

120 pg, 5.45 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 12/02/2015.--[Edited 12/03/2015 by CJG] (SJC)

11/25/2015
11/27/2015
11/28/2015
11/29/2015
11/30/2015
12/02/2015
12/03/2015
0 pg, 0 KB

12/06/2015
84 pg, 4.14 MB

12/08/2015

ECF FILER: LETTER filed by Appellant Mr. Stanley J. Caterbone. Certificate of Service dated 12/03/2015.
[As this document contains medical information, it has been locked from public view.]--[Edited 12/07/2015
by CJG] (SJC)
ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled Submission as Exhibit.
Certificate of Service dated 12/06/2015.--[Edited 12/07/2015 by CJG] (SJC)

102 pg, 6.97 MB

ECF FILER: 15-3400 Lambert Appeal EXHIBIT re In Forma Pauperis Fraud by the Judiciary of the
Lancaster County Courts, the U.S. District Court, and the PA Superior Court, December 8, 2015 filed by
Appellant Mr. Stanley J. Caterbone. Certificate of Service dated 12/08/2015. (SJC)

114 pg, 24.94 MB

ECF FILER: THE COMPUTER HACKER RUINED THIS FILE, BUT I AM TOO TIRED OF FIXING MY
WORK EVERY DAY BECUASE OF HIM - DO WITH IT WHAT YOU WANT filed by Appellant Mr. Stanley J.
Caterbone. Certificate of Service dated 12/09/2015. (SJC)

12/09/2015

12/12/2015
57 pg, 2.26 MB

ECF FILER: DOCUMENT filed by Appellant Mr. Stanley J. Caterbone titled "Submission as Exhibit".
Certificate of Service dated 12/12/2015.--[Edited 12/14/2015 by CJG] (SJC)

1 pg, 38.48 KB

ECF FILER: Motion to Withdraw Case pursuant to Fed. R. App. P. 42(b) filed by Appellant Mr. Stanley J.
Caterbone without costs. Certificate of Service dated 12/14/2015. (SJC)

1 pg, 41.47 KB

ECF FILER: LETTER from Party Mr. Stanley J. Caterbone Clariification of December 14, 2015 Motion to
Dismiss be Dissmissed WITHOUT Prejudice.. Certificate of Service dated 12/17/2015. (SJC)

12/14/2015
12/17/2015
12/18/2015
643 pg, 76.22 MB

12/19/2015
124 pg, 10.35 MB

15-3400 Lambert Appeal


4 of 5

ORDER (Clerk) The motion for continuance is granted to the extent it can be construed as a motion for
extension of time to file a response regarding possible summary action. Appellant's response must be filed
and served within thirty (30) days of the date of this order, filed. (CJG)

ECF FILER: Exhibits; I mean no disrespect to the Court for the lack of a cover page and description of
exhibits, however computer hacking is causing severe distress along with emotional pain and suffering,
Stan J. Caterbone, Pro Se. See 15-03984 USDEP filed by Appellant Mr. Stanley J. Caterbone. Certificate
of Service dated 12/18/2015. (SJC)
ECF FILER: COMPLAINT to U.S. Attorney for the Eastern District of Pennsylvania re Fulton Bank Criminal
Conspiracy, December 19, 2015 filed by Appellant Mr. Stanley J. Caterbone. Certificate of Service dated
12/19/2015. (SJC)

Page 4 of 129

Saturday, December 19, 2015


12/19/2015 4:22 AM

15-3400 Docket

5 of 5

https://ecf.ca3.uscourts.gov/cmecf/servlet/TransportRoom

Documents and Docket Summary


Documents Only
Include Page Numbers
Selected Pages:
Selected Size:
(Max: 50 MB)
Totals reflect accessible documents only and do not include unauthorized restricted documents.

PACER Service Center


Transaction Receipt
Third Circuit - 12/19/2015 04:22:17

15-3400 Lambert Appeal

PACER Login:

am6446:3514696:0

Client Code:

Description:

Docket Report (filtered)

Search Criteria:

15-3400

Billable Pages:

Cost:

0.30

Page 5 of 129

Saturday, December 19, 2015


12/19/2015 4:22 AM

Former Fulton Bank manager accused of stealing $99,000 from Manor m...

Case: 15-3400

Fulton Bank Extortion


1 of 3

http://lancasteronline.com/business/local_business/former-fulton-bank-...

Document: 003112160036

Page 1 of 124

Page: 1

Date Filed: 12/19/2015

Saturday, December 19, 2015


12/19/2015 3:42 AM

Former Fulton Bank manager accused of stealing $99,000 from Manor m...

Case: 15-3400

Fulton Bank Extortion


2 of 3

http://lancasteronline.com/business/local_business/former-fulton-bank-...

Document: 003112160036

Page 2 of 124

Page: 2

Date Filed: 12/19/2015

Saturday, December 19, 2015


12/19/2015 3:42 AM

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 3 of 124

Page: 3

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 4 of 124

Page: 4

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 5 of 124

Page: 5

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 6 of 124

Page: 6

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 7 of 124

Page: 7

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 8 of 124

Page: 8

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page 9 of 124

Page: 9

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 10

Page 10 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 11

Page 11 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 12

Page 12 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 13

Page 13 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 14

Page 14 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 15

Page 15 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 16

Page 16 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 17

Page 17 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 18

Page 18 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 19

Page 19 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 20

Page 20 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 21

Page 21 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 22

Page 22 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 23

Date Filed: 12/19/2015

www.amgglobalentertainmentgroup.com
mailto:amgroup01@msn.com
Blog: http://advancedmediagroup.wordpress.com/
Research Blog: www.advancedmediagroupresearch.wordpress.com
Video Biography at: http://www.youtube.com/profile?user=advancedmediagroup

Stanley J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

December 3, 2007
R. Scott Smith
Chairman, President
And Chief Executive Officer
Fulton Financial Corporation
One Penn Square
P.O. Box 4887
Lancaster, Pennsylvania 17604
Re:

Black Budget Identities of the United States Government regarding Covert Activates & Mind Control
Rufus Fulton, Former Chairman and Chief Executive Officer & Department of Defense
Caterbone v. Fulton Bank litigation
Federal False Claims Act Complaint re International Signal & Control (ISC) of Lancaster, PA

Dear Mr. Smith:


I would like to bring to your attention a very dire matter that severely implicates Fulton Bank and
Fulton Financial Corporation. I would like to bring to your attention the Rufus Fulton interview of November
21, 2007 broadcast on WGAL TV 8 News at 6. This interview disclosed National Security information for the
first time regarding his work for the Department of Defense and the Kennedy Administration.
I am suggesting that his classified work with the Department of Defense and his present influence
concerning National Security matters is a dire conflict of interest concerning my litigation against Fulton Bank
that needs to be investigated by outside agencies and or authorities.
I have serious questions regarding the Defense Intelligence Agency and the possible collusion with
your institution. You have to understand that in July of 2005 while I was visiting a museum on a military
base in Austin Texas, I was detained by 2 agents for the Defense Intelligence Agency and questioned about
my Federal case 02-5588 Caterbone v. Lancaster County Prison, et al., which Fulton Bank is a defendant,
and my whereabouts as well as my destination.
They required me to verify where I was staying, and called my brother Phil's Doctors office in Austin,
whom I was staying with, and caused his staff problems by getting them alarmed about the situation. They
were not very nice and I left them with the question "We are all on the same team, aren't we?
They left me be on my way after reviewing my documents and my Federal civil complaint, which
included information about ISC and my allegations and Federal False Claims Act; and demanding that I do
not visit any more military bases. To my knowledge I have had no physical contact since.

Fulton Bank Extortion


Advanced Media Group

Page 23 of 124
Page 1 of 2

Saturday, December 19, 2015

December 3, 2007

Case: 15-3400

Document: 003112160036

Page: 24

Date Filed: 12/19/2015

The problem is the involvement of the Department of Defense, Mr. Rufus Fultons past affiliation and
possible influence, my allegations and civil complaints against Fulton Bank, and my telepathic abilities and
remote viewing1.
For some time I have been trying to identify groups and or agencies that may have remotely trained
me. I have written to and personally visited the office of Senator Arlen Specter2, the Federal Bureau of
Investigation3, the Senate Select Committee for Intelligence4, and corresponded with the Defense Advanced
for Research Projects Agency5, and the Central Intelligence Agency6 with the hopes of finding some answers.
However they have proved fruitless.
See the attached research document dated Thursday, November 29, 2007, titled THE SHADOW
GOVERNMENT: ITS IDENTIFICATION AND ANALYSIS, by Richard J. Boylan, Ph.D7; it is a report that
identifies organizations, agencies, and companies that are directly involved with mental telepathy and
remote viewing, most of which operate under the direction and funding of the Department of Defense. I
have just recently discovered this document on Friday, November 30, 2007 and found it most disturbing
after having to watch the Rufus Fulton interview the prior week. Pay particular attention to the items in
red highlight.
Your Board of Directors and the Securities and Exchange Commission should be and will be alerted to
this discovery. I wish you would reconsider your letter of November 14, 2007 and your position no to meet
with me personally to discuss some of these issues. I believe it will be in your best interest to stay ahead of
this information. A civil and criminal conspiracy allegation that involves this information will have dire
consequences to your major stakeholders and your shareholders.
As a courtesy I will promise to give you until the end of this week, December 7, 2007 to review this
material and perform any due diligence that you seem worthy; and communicate a response. After that
time, I will take it upon myself to disclose this information as it pertains to Fulton Bank and Fulton Financial
Corporation to the Securities and Exchange Commission, and others that will help protect my interests and
the interests of the Advanced Media Group and my litigation v. Fulton Bank.
Respectfully,

Advanced Media Group


Stan J. Caterbone
www.amgglobalentertainmentgroup.com
Visit Our Blog
Visit Our Video Biography
Copy to file
Deliver to Stephanie Carfley, Barley Snyder, LLC

See attached research document titled On the Need for New Criteria of Diagnosis of Psychosis in the Light of Mind Invasive Technology
By Carole Smith Global Research, October 18, 2007; Journal of Psycho-Social Studies, 2003.
2
See attached letter dated July 12, 2007 from Stan J. Caterbone/Advanced Media Group to Senator Arlen Specter of the Senate Judiciary
Committee. Senator Arlen Specter was visited on May 17, 2006.
3
See the attached letter dated July 16, 2007 from Stan J. Caterbone/Advanced Media Group to the Federal Bureau of Investigation (FBI).
The meeting at the FBI Philadelphia Field Office took place on October 24, 2007, and the FBI Harrisburg Field Office was visited on May
17, 2006.
4
The Senate Select Intelligence Committee office was visited on May 17, 2006
5
See attached email dated February 26, 2007 regarding mental telepathy and mind control to the Defense Advanced Research Projects
Agency (DARPA).
6
See the attached email confirmation from the Central Intelligence Agency (CIA).
7
See the attached research document dated Thursday, November 29, 2007, titled THE SHADOW GOVERNMENT: ITS IDENTIFICATION
AND ANALYSIS, by Richard J. Boylan, Ph.D..

Fulton Bank Extortion


Advanced Media Group

Page 24 of 124
Page 2 of 2

Saturday, December 19, 2015

December 3, 2007

Case: 15-3400

Document: 003112160036

Page: 25

Date Filed: 12/19/2015

amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Stan Caterbone, Pro Se Litigant


Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

July 12, 2007


Arlen Specter
United States Senate
Washington, DC 20510-3802
Re:

Letter of June 15, 2007

Dear Mr. Specter:


I appreciate your letter of June 15, 2007 and the future of the Federal Courthouse in
Lancaster County. I dont think that there is anything more important than the integrity of our
judicial system. As you are aware, I am following the Attorney General controversy and would
hope that your committee is successful in restoring the tradition of respect and integrity into
that institution. I dont see how our great country can function with respect without that
happening. I would hope that Attorney General Gonzales takes the high road and resigns in the
very near future, for the greater good.
Unfortunately, I have some personal and business issues that I consider important
enough for me to seek your help, as being one of my representatives to the United States
Senate. First of all, I received your letter yesterday, July 11, 2007. It was held in the mail
system or was stolen for almost a full 30 days. I have had so many complaints regarding the
same that I filed a complaint with the United States Postal Inspector. They had written me but I
never did receive the follow-up to the investigation as the letter promise.
I am attaching a
copy of the letter with the hopes that you could follow-up and make certain that my complaint is
not being subverted.
If you are not aware, I have a Federal Whistle-Blowing and Federal False Claims Act case
that I need to file against the United States Attorney General, as required by law. This case
involves the former Department of Defense contractor International Signal & Control, Plc, (ISC)
formerly of Lancaster, Pennsylvania. Unfortunately, I also have an unprecedented case of
obstruction of justice that surrounds that case, and I am evaluating the merits of waiting until
your subcommittee finds a resolution to U.S. Attorney General controversy before I file my
action in the United States District Court for the Eastern District of Pennsylvania. I am certain
that any filing before would only be subject to further misconduct. My cases now before the
United States District Courts and the various Courts of the Commonwealth have been subject to
an unprecedented array of judicial misconduct. However, I realize that you do not have the
authority or the jurisdiction to intervene, so I am told.
There is a problem that I must bring to your attention in the hopes that you would be
able to at least refer me to the appropriate committees or agency. For approximately the past
19 months I have had the ability to communicate telepathically.
I have spent much time
researching this ability through the various intelligence agencies declassified documents. My
problem is that I am connected 24/7 with a person that is compromising my interests and my
intellectual property at a time when I am litigating civil and criminal proceedings.
My business
interests are also greatly compromised. I do not know how I became telepathic, or if I was
Fulton Bank Extortion
THE ADVANCED MEDIA GROUP

Page 25 of 124
Page 1 of 2

Saturday, December 19, 2015


07/12/2007

Case: 15-3400

Document: 003112160036

Page: 26

Date Filed: 12/19/2015

July 12, 2007


Senator Arlen Specter
Page 2
trained without my knowledge and or consent. I need to seek help in trying to disconnect. The
person that is connected to me subjects me to a brutal array of mental and psychological abuse.
I firmly believe that they are being used as a medium for this purpose. I have waited 20 years
to resolve my issues in a Court of Law, and this is not a good time for this ability to assert itself,
and of course it is very suspect considering my Federal False Claims Act allegations.
Unfortunately, I have had personal dealings with the Department of Advanced Research
Projects (DARPA) that dates back to 1990 when I had contracts with the National Institute of
Standards and Technology and DARPA. I know that they study and research paranormal
activities and technologies, including remote channeling. My Whistle-Blowing activities and my
knowledge of the fraud within ISC back in 1987, has put me in direct scrutiny of the Central
Intelligence Agency (CIA) and the National Security Agency (NSA) due to their relationships with
ISC, and of course my very public condemnation of the fraud.
In the past few weeks I have downloaded a declassified document dump from the Central
Intelligence Agency (CIA) that contained hundreds of bibliographies from the Soviet Union
dating as far back as the 1930s regarding this subject. It appears that they have more
knowledge and expertise than the United States. This brings me to a disclosure that may or
may not be concerning. Over the past several months I have had two contacts and intimate
conversation with an 80-year-old Russian immigrant regarding my problem. She seemed to be
knowledgeable of the subject matter and made several disclosures, which may or not be true.
She said that she was a Psychologist with a Doctorate degree and a former employee of the
Pennsylvania State University System. She also disclosed that her former husband was
imprisoned and tortured by the KGB.
I will copy Senator Diane Feinstein of California with this letter. The fact that she serves
on the Judiciary Committee with you and the fact that she is also on the Senate Select
Intelligence Committee might help me find a solution to this problem. I would hope that you
both might be able to help me find someone that can help me disconnect from this other
telepathic person, while at the same time taking any making certain there are no National
Security issues.
In another matter, I also will enclose a copy of an email from the Government Accounting
Office (GAO) pertaining a document that I am trying to locate that was sent to me in 1987 from
the GAO. I would appreciate it if you could follow-up on this and make sure I am afforded the
FOIA for this document.
I look forward to your response.

Sincerely,

Stan J. Caterbone
cc:
Enclosures

USPS Certified Mail


Letter of June 15, 2007
May 24, 2007 Letter from United States Postal Inspection Service
February 26, 2007 - Email to DARPA
April 12, 2007 Email Confirmation from CIA
2002 CIA Declassified Document
July 10, 2007 Email from The GAO
Fulton Bank Extortion
Page 26 of 124
Saturday, December 19, 2015
THE ADVANCED MEDIA GROUP

Page 2 of 2

07/12/2007

Case: 15-3400

Document: 003112160036

Page: 27

Date Filed: 12/19/2015

amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Stan Caterbone, Pro Se Litigant


Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

July 16, 2007


Federal Bureau of Investigations
J. Edger Hoover Building
935 Pennsylvania Avenue
Washington, D.C. 20535-0001
Philadelphia, PA
Re:

Important Matters

Dear Sir or Madam:


First of all, I received a personal letter from Senator Arlen Specter on July 11, 2007. It
was held in the mail system or was stolen for almost a full 30 days. I have had so many
complaints regarding the same that I filed a complaint with the United States Postal Inspector
(See Attached). They had written me but I never did receive the follow-up to the investigation
as the letter promise. I am attaching a copy of the letter with the hopes that you could followup and make certain that my complaint is not being subverted.
If you are not aware, I have a Federal Whistle-Blowing and Federal False Claims Act case
that I need to file against the United States Attorney General, as required by law. This case
involves the former Department of Defense contractor International Signal & Control, Plc, (ISC)
formerly of Lancaster, Pennsylvania. Unfortunately, I also have an unprecedented case of
obstruction of justice that surrounds that case, and I am evaluating the merits of waiting until
your subcommittee finds a resolution to U.S. Attorney General controversy before I file my
action in the United States District Court for the Eastern District of Pennsylvania. I am certain
that any filing before would only be subject to further misconduct. My cases now before the
United States District Courts and the various Courts of the Commonwealth have been subject to
an unprecedented array of judicial misconduct. However, I realize that you do not have the
authority or the jurisdiction to intervene, so I am told.
For approximately the past 19 months I have had the ability to communicate
telepathically. I have spent much time researching this ability through the various intelligence
agencies declassified documents. My problem is that I am connected 24/7 with a person (Sheryl
Crow) that is compromising my interests and my intellectual property at a time when I am
litigating civil and criminal proceedings.
My business interests are also greatly compromised.
I do not know how I became telepathic, or if I was trained without my knowledge and or
consent. I need to seek help in trying to disconnect. The person that is connected to me
subjects me to a brutal array of mental and psychological abuse. I firmly believe that they are
being used as a medium for this purpose. I have waited 20 years to resolve my issues in a
Court of Law, and this is not a good time for this ability to assert itself, and of course it is very
suspect considering my Federal False Claims Act allegations.
Unfortunately, I have had personal dealings with the Department of Advanced Research
Projects (DARPA) that dates back to 1990 when I had contracts with the National Institute of
Standards and Technology and DARPA. I know that they study and research paranormal
Fulton Bank Extortion
THE ADVANCED MEDIA GROUP

Page 27 of 124
Page 1 of 2

Saturday, December 19, 2015


07/16/2007

Case: 15-3400

Document: 003112160036

Page: 28

Date Filed: 12/19/2015

activities and technologies, including remote channeling. My Whistle-Blowing activities and my


knowledge of the fraud within ISC back in 1987, has put me in direct scrutiny of the Central
Intelligence Agency (CIA) and the National Security Agency (NSA) due to their relationships with
ISC, and of course my very public condemnation of the fraud. I dont know if any of your
agents have any experience with this type of situation, but there are definitely National Security
issues that may need to be addressed. There are persons that can actually eaves drop on this
type of communication, and I am constantly being question on matters related to ISC, and other
foreign affairs. My knowledge of the Middle East is quite extensive, and there is always the
possibility for someone to glean information for illegitimate reasons.
In the past few weeks I have downloaded a declassified document dump from the Central
Intelligence Agency (CIA) that contained hundreds of bibliographies from the Soviet Union
dating as far back as the 1930s regarding this subject. It appears that they have more
knowledge and expertise than the United States. This brings me to a disclosure that may or
may not be concerning. Over the past several months I have had two contacts and intimate
conversation with an 80-year-old Russian immigrant regarding my problem. She seemed to be
knowledgeable of the subject matter and made several disclosures, which may or not be true.
She said that she was a Psychologist with a Doctorate degree and a former employee of the
Pennsylvania State University System. She also disclosed that her former husband was
imprisoned and tortured by the KGB.
I look forward to your response.

Sincerely,

Stan J. Caterbone
cc:
Enclosures

USPS Certified Mail


Letter of June 15, 2007
May 24, 2007 Letter from United States Postal Inspection Service
February 26, 2007 - Email to DARPA
April 12, 2007 Email Confirmation from CIA
2002 CIA Declassified Document
July 10, 2007 Email from The GAO

Fulton Bank Extortion


THE ADVANCED MEDIA GROUP

Page 28 of 124
Page 2 of 2

Saturday, December 19, 2015


07/16/2007

DARPA - ESP - MENTAL TELEPATHY & THE UNITED STATES GOVERNMENT'S PROJECTS AND ACTIVITIES copyright 2007

Case: 15-3400

Document: 003112160036

Page: 29

amgroup01@msn.com

Printed: Monday, February 26, 2007 11:04 AM

From :

Stan Caterbone <amgroup01@msn.com>

Sent :

Monday, February 26, 2007 11:03 AM

To :

webmaster-dso@darpa.mil

Subject :

Programs

Attachment :

Date Filed: 12/19/2015

WiredNews-ASpyMachineofDARPA_sDreams.pdf (0.03 MB)

I am looking for information of some of your programs regarding the Mind and Remote Channelling. See attached.
I did some work on the "TIMIT" project with the National Istitute for Standards and Technologies, NIST back in 1990, as a
contractor (Advanced Media Group). I was the CD-ROM manufacturer. I believe you were part of that project.
Within the past 14 months I have become telepathic, and I want to be assured your staff has nothing to do with that activity.
I also have a Federal False Claims Act complaint in the United States District Court for the Eastern District of Pennsylvnania
06-cv-3955, it will be amended in due time and refiled.
In July of 2005, I was detained by 2 DIA Agents in Austin, Texas, and questioned about another Federal complaint 05-2288.
I would like some transparency and some answers involving your involvement.
Advanced Media Group
Stan Caterbone
mailto: amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

Fulton Bank Extortion


Research by Advanced Media Group

Page 29 of 124
Page 1 of 1

Saturday, December 19, 2015


Published On 11/13/2007

Case: 15-3400

Document: 003112160036

Page: 30

Date Filed: 12/19/2015

Home | Notices | Privacy | Security | Contact Us | Site Map | Index | Search

Your question or comment has been successfully submitted.


Thank you for taking the time to contact the Central Intelligence Agency.
This page is generated automatically when our server successfully processes your submission. It is your
assurance that your message has reached us; you do not need to phone or fax us for further confirmation.
A reminder: we cannot answer inquiries about the status of job applications and, because of the volume
of queries we receive and the small size of our staff, we may not be able to respond to you as quickly as
both we and you would like. We will not respond to you at all if an answer is not appropriate or required
and, generally, if the answer to your query is available on our Web site.

Home | Notices | Privacy | Security | Contact Us | Site Map | Index | Search


If you have difficulty accessing any material on this site because of a disability,
please contact us and we will work with you to make the information available.

Fulton Bank Extortion


THE ADVANCED MEDIA GROUP

Page 30 of 124
Page 1 of 1

Saturday, December 19, 2015


07/12/2007

Case: 15-3400 Document: 003112160036


Thursday, November 29, 2007

Page: 31

Date Filed: 12/19/2015

THE SHADOW GOVERNMENT: ITS IDENTIFICATION AND ANALYSIS


by
Richard J. Boylan, Ph.D.
This is a summary report on those elements of that clandestine organizational network, (which we
shall label the Shadow Government), which serves as a kind of "parallel government" to the official
elected and appointed government of this country (USA). It includes those elements known to the
author with sufficient certainty that they can be positively identified, and their known or
reliably reported functions described. It is distinctly possible that there are other elements,
(particularly in the realms of the "Black Budget" and "Special Operations",) which have eluded our
study, and are not named here.
Just as with the official government, the Shadow Government has functional branches. However,
unlike the official government, the purpose of the none-executive branches of the Shadow Government
is simply to distribute various functions, but not to achieve a system of checks and balances, as was
supposed to happen constitutionally between the executive, legislative and judicial branches of the
U.S. Government. That is because the Shadow Government is a creature of a powerful elite, who need
not fear being dominated by an instrument of their own creation.
In the Shadow Government five branches may be identified. These branches are: the Executive
Branch, the Intelligence Branch, the War Department, the Weapons Industry Branch, and the Financial
Department.
The reporting lines of the Intelligence Branch and the War Department to the Executive Branch are
straightforward and obvious. Intelligence exists to provide the Executive Branch with sufficient
necessary information to make adequately informed policy decisions. The War Department exists to
provide coercive force to carry out Executive policy decisions which could meet with public resistance.
The Special Operations units within the Intelligence Branch and War Department exist to carry out
policy directives requiring covert action and official deniability.
The Weapons Industry Branch reports to the Executive Branch most often indirectly, through the War
Department and/or the Intelligence Branch (for Black Budget weapons systems).
The Financial Department theoretically reports to the Executive Branch for fiscal policy
implementation, but de facto also reports directly to the international power brokers who have created
the Shadow Government. The Financial Department serves at times directly as their instrument of
fiscal policy implementation.
An analysis of the overall purposes of these five branches suggests that the overall purpose of the
Shadow Government is to exercise covert control by: 1) collecting comprehensive institutional and
personal information, 2) by establishing national and international policy independently of the
established Government, 3) by developing high-tech arms and equipment, and, with these,
establishing small, specialized, highly-mobile, elite military units to effect these covert policies, when
need arises, without having to rely on the official (and "unreliable") Armed Services, (whose
subservience to the Shadow Government is reasonably suspect), 4) by developing an armed capability
to repel any threat to the status quo, (including the uncertain ontological, social, and economic
impacts of any revelation of the reality of UFO and extraterrestrial presence) through the development
of a Star Wars/BMDO ground and space-based surveillance and SDI weapons network, 5) by denying
information compromising to the Shadow Government from all those outside "need-to-know"
policymaking levels, and 6) by exercising control on the money supply, availability of credit, and the
worth of money, through policy decisions made outside of the official Government.
All of these mechanisms of control serve to preserve or advance the agenda of an international group
of pivotal power and influence brokers. That agenda is, according to Senator Barry Goldwater, that
Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 31 of 124
Page 1 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 32

Date Filed: 12/19/2015

"national boundaries should be obliterated and one world rule established." [With No Apologies,
Berkley Books, New York [[date unknown]].]
These power brokers' most visible unifying instrumentality is the Council on Foreign
Relations (CFR), (which promotes the transition of Earth from a cluster of Nation-States to one
global government), [Chairman: Peter G. Peterson; headquarters: 58 E. 68th Street, New York, NY
10021]. [Cf. In Control, Kerrville, TX: Fund to Restore an Educated Electorate, 1993.] However, one
must not underestimate the influence of the Trilateral Commission (TC), (which coordinates economic
initiatives of the Group of Seven with other "developed countries" vis-a-vis the "underdeveloped
world",) [Chairman: Paul Volcker; headquarters: 345 E. 46th Street, New York, NY 10017]. Neither
should one misjudge the power of the secretive Bilderberg Group (BG), (which concentrates on the
military and strategic considerations of powerful West European and North American power brokers),
[chair rotates, former Chair: Prince Bernhard of Holland; headquarters unknown: annual meetings
rotate, but originally were held at the Hotel de Bilderberg, Oosterbeck, Holland].
David Rockefeller is the Chairman Emeritus of both the CFR and the TC, and certainly
influences, through proxy representatives (such as Lloyd Bentsen), the Bilderberg Group. [Cf. Holly
Sklar, ed., Trilateralism: The Trilateral Commission and Elite Planning for World Management; Boston:
South End Press, 1981.]
What follows is a succinct identification and description of the constituent agencies in each of the five
branches of the Shadow Government.
EXECUTIVE BRANCH
(This branch contains the effective policymaking and controlling structures behind the veil of apparent,
democratic governmental structures):
a) Council on Foreign Relations (CFR) (includes George Bush, Bill Clinton, all modern CIA Directors,
most modern Joint Chiefs of Staff, most modern Cabinet and top Executive Branch appointed
officeholders, etc.);
b) Tri-Lateral Commission (David Rockefeller, Henry Kissinger, John D. Rockefeller, Alan Greenspan,
Zbignew Brzezinski, Anthony Lake, John Glenn, David Packard, David Gergen, Diane Feinstein, Jimmy
Carter, Adm. William Crowe, etc.;
c) The Bilderberg Group (Prince Hans-Adam of Liechtenstein, Prince Bernhard of Netherlands, Bill
Clinton, Lloyd Bentsen, etc.);
d) National Security Council (NCS), (the military and intelligence policymaking and control group for
national and international security, which reports directly to the President), its secret 5412 Committee
(which directs black [covert] operations), and its PI-40 Subcommittee (aka MJ-12: which exercises
policy direction and control of the UFO Cover-Up);
e) Joint Chiefs of Staff (JCS)'s Special Operations compartment, (the operations directorate which
implements the orders of the NSC's 5412 Committee, utilizing the U.S. Special Forces Command);
f) National Program Office (NPO), (which operates the Continuity of Government Project (COG), an
ongoing secret project to maintain command, control, communication and intelligence executive
centers during an extreme National Emergency by operating clandestine, secure, underground cities
staffed by surrogates for above-ground national leaders]); and,
h) Federal Emergency Management Agency (FEMA)'s black projects compartment, (which operates
federal preventive-detention camps [often located on military bases or federal Bureau of Land
Management lands], secure underground shelters for the elite during cataclysms, etc.).
INTELLIGENCE BRANCH
(Serves functions of domestic and international surveillance and of secret police/enforcers):

Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 32 of 124
Page 2 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 33

Date Filed: 12/19/2015

a) National Security Agency (NSA), (monitors and screens all telephone, telegraph, computer modem,
radio, television, cellular, microwave, and satellite communications, and electromagnetic fields "of
interest" around the world, and orchestrates information-control and cover-up activities related to UFO
secrecy and surveillance of extraterrestrial operations), Fort Meade, MD;
b) National Reconnaissance Office (NRO), (controls and collects information from global spy satellites,
monitors UFO traffic entering and leaving Earth's atmosphere, coordinates firing of energy-beam
weapons from orbiting Star Wars satellites at selected human ground and airborne targets and
selectively at extraterrestrial craft), Pentagon basement and Dulles-Airport area, VA;
c) National Reconnaissance Organization (NRO) (aka MJ-TF), (the military/intelligence operations arm
of the PI-40 Subcommittee, conducts surveillance, interdiction, capture and confiscation of UFOs and
their extraterrestrial occupants for intelligence and "International Security" purposes; surveilles and
"interacts" with close-encounter experiencers, including occasional physically and sexually assaultive
mind-control kidnappings disguised as "Alien abductions" for psychological warfare and
disinformational purposes), headquarters unknown, probably compartmented and dispersed among
various elite Delta Force Special Operations units, such as the USAF Blue Light at Hurlburt Field, Mary
Esther, FL and Beale Air Force Base, Marysville, CA;
d) Central Intelligence Agency (CIA), (commands, often controls, and sometimes
coordinates, the gathering of secret overseas information gathered by spies (HUMINT),
electronic surveillance (SIGINT), and other means; carries out covert unconstitutional
paramilitary counterinsurgency operations and preemptive political pacification projects in
violation of international law, as well as counter-intelligence sting operations against
foreign agents; engages in domestic surveillance, and manipulation of the U.S. political
process, "in the National interest" in direct violation of its congressional charter; operates
proprietary "false-front" companies for profit; conducts a major share of international
transshipment of illegal drugs, using National Security cover and immunity; and cooperates
with NSA's UFO cover-up operations), Langley, VA, and worldwide branches;
e) Federal Bureau of Investigation, Counter-Intelligence Division, (the branch which investigates,
surveilles and neutralizes foreign Intelligence agents operating within the U.S., and cooperates with
the National Reconnaissance Organization in the surveillance of those involved in close encounters with
UFOs and extraterrestrials);
f) Department of Energy Intelligence (DOE-INTEL), (which conducts internal security checks and
external security threat countermeasures, often through its contract civilian instrumentality, the
Wackenhut Corporation);
g) NSA's Central Security Service, and CIA's Special Security Office, (which respectively spy on the
spies, and conduct special operations which cannot be entrusted to line intelligence officers), Ft.
Meade, MD and Langley, VA;
h) U.S. Army Intelligence and Security Command (INSCOM) (whose assignments include
psychological and psychotronic warfare (PSYOPS), parapsychological intelligence (PSYINT),
and electromagnetic intelligence (ELMINT), Ft. Meade, MD;
i) U.S. Navy Office of Naval Intelligence (ONI), which gathers intelligence affecting naval operations,
and has a compartmented unit involved in UFO and USO [Unidentified Submerged Objects] information
gathering;
j) U.S. Air Force Office of Special Investigations (AFOSI), (which gathers intelligence affecting
aerospace operations, and has a compartmented unit involved in investigating UFO sightings,
extraterrestrial contact reports, as well as IAC [Identified Alien Craft] surveillance, and coordination
with NRO interdiction operations), Bolling Air Force Base, MD;
k) Defense Intelligence Agency (DIA), (which coordinates the intelligence data gathered
from the various Armed Services intelligence branches (Army, Navy, Marines, Air Force,
Coast Guard and Special Forces), and provides counter-threat measures, which include
Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 33 of 124
Page 3 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 34

Date Filed: 12/19/2015

providing security at ultra-classified installations by the deployment of U.S. "Thought


Police", who conduct surveillance, by remote-viewing and other parapsychological
measures, against penetrations and scanning by foreign or civilian remote-viewers
[clairvoyants/out-of-body seers]), Pentagon, VA, Fort Meade, MD, and the entire astral
plane;
l) NASA Intelligence, (which gathers intelligence data relating to space flights, sabotage threats,
astronaut and reconnaissance satellite encounters with UFOs and Star Visitors, and coordinates the
transfer of Star Visitor technology to U.S. and allies' aerospace operations);
m) Air Force Special Security Service (which is an NSA/USAF joint intelligence operations unit dealing
with possible threats to aerospace operations from foreign powers, terrestrial or otherwise);
n) Defense Industry Security Command (DISCO), (which conducts intelligence operations within and
on behalf of the civilian defense contractor corporations engaged in classified research, development,
and production);
o) Defense Investigative Service (DIS), (which conducts investigations into people and
situations deemed a possible threat to any operation of the Department of Defense);
p) Naval Investigative Service (NIS), (which conducts investigations against threats to Naval
operations);
q) Air Force Electronic Security Command, (which conducts surveillance and interdiction of threats to
the security of Air Force electronic transmissions and telemetry, and to the integrity of electronic
counter-measure (ECM) warfare equipment; r) Drug Enforcement Agency (DEA) Intelligence, (which
conducts surveillance and interdiction of drug smuggling operations, unless exempted under "National
Security" waivers);
s) Federal Police Agency Intelligence, (which coordinates intelligence relating to threats against federal
property and personnel);
t) Defense Electronic Security Command, (which coordinates intelligence surveillance and
countermeasures against threats to the integrity of military electronic equipment and electronic
battlefield operations), Fort Worth, TX.
u) Project Deep Water (the ongoing effects of the compromised personnel, sources and methods
resulting from the secret importation of Hitler's own Nazi Intelligence chief, Gen. Reinhard Gehlen, to
redesign the U.S.'s Intelligence apparatus);
v) Project Paperclip (the ongoing results of the secret importation of Nazi weapons and aerospace/UFO
scientists into U.S. secret military research and development bases);
w) (Undoubtedly, more clandestine units exist, not identified at this time.)
WAR DEPARTMENT
(High-Technology
Deployment):

Weapons

Development

and

Covert

Special

Forces/Special

Operations

Units

a) CIA's Directorate for Science and Technology, (which gathers information with promise
for scientific and technological developments which present a superiority advantage for, or
a threat against, the National Security, [also contains the "Weird Desk", which centrally
processes intelligence about UFOs and Star Visitors and their interaction with Earth],
current Deputy Director of Central Intelligence for Science and Technology is Ron Pandolfi);
b) Strategic Defense Initiative Office (SDIO)/ Ballistic Missile [sic] Defense Organization (BMDO),
(which coordinates research, development and deployment of Star Wars electromagnetic-pulse, killerlaser, particle-beam, plasmoid, and other advanced-technology aerospace weapons;
Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 34 of 124
Page 4 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 35

Date Filed: 12/19/2015

c) Department of Energy (DOE) (which, besides its cover-story of researching cleaner-burning coal and
gasoline and more solar power, is principally involved in research and development of: more
specialized nuclear weapons; plus compact, self-sustaining, fusion-powered, particle and wave
weapons, including electromagnetic pulse, gravitational/antigravitational, laser, neutral particle-beam
and plasmoid applied weapons research; high-energy invisibility "cloaking" technology, etc.);
d) Lawrence Livermore National Laboratories (LLNL)/Sandia National Laboratories-West (SNL-W),
(which are involved in nuclear warhead "refinements", development of new trans-uranic elements for
weapons and energy applications, development of anti-matter weapons (the Teller Bomb: 10,000
times the force of a hydrogen bomb), laser/maser technology applications, and, reportedly, successful
teleportation experiments, among other projects, at this Russian-nicknamed "City of
Death"),Livermore, CA;
e) Idaho National Engineering Laboratories (INEL), (which houses numerous underground facilities in
an immense desert installations complex larger than Rhode Island, has security provided by its own
secret Navy Base, is involved in nuclear, high-energy electromagnetic, and other research, and
includes Argonne National Laboratory, West), Arco, ID;
f) Sandia National Laboratories (SNL)/Phillips Air Force Laboratory, (which are sequestered on Kirtland
Air Force Base/Sandia Military Reservation, and conduct the translation of theoretical and experimental
nuclear and Star Wars weapons research done at Los Alamos and Lawrence Livermore National
Laboratories into practical, working weapons), Albuquerque, NM;
g) Tonopah Test Range (SNL's DOE weapons-testing facility for operationally testing Star Wars
weapons in realistic target situations, and is adjacent to classified stealth and cloaked aerospace craft
and U.S.-UFO bases at the Groom Lake [USAF/DOE/CIA] Base [Area 51] and Papoose Lake Base [S4]), Nevada Test Site/Nellis AFB Range, Tonopah, NV;
h) Haystack USAF Laboratory, Haystack Buttes, Edwards AFB, CA, (a 30-levels deep, extreme-security
facility reportedly engaged in Star Visitor technology retro-engineering;
i) Los Alamos National Laboratories (LANL), (which is the premiere research lab for nuclear, subatomic
particle, high magnetic field, exo-metallurgical, exo-biological and other back-engineered
extraterrestrial technologies research), Los Alamos County, NM;
j) Area 51 (Groom Lake [USAF/DOE/CIA] Base), and S[Site]-4 (Papoose Lake Base), ultra-secure
"nonexistent" deployment bases where extremely classified aerospace vehicles are tested and
operationally flown, including the Aurora [Mach-8] spyplane, the Black Manta [TR-3A] stealthy fighter
follow-on to the F-117A, the Pumpkinseed hyperspeed unmanned aerospace reconnaissance vehicle,
and several variants of antigravitational craft (U.S.-UFOs), including the "Christmas Tree Ornament"
(glowing orange orb) and the "Firefly" (strobing, flitting, bluish-white lit airframe);
k) U.S. Special Forces Command, Hurlburt Field, Mary Esther, Fl, along with its Western U.S.
Headquarters, Special Forces Command, Beale AFB, Marysville, CA, coordinating: 1) U.S. Army Delta
Forces (Green Berets); 2) U.S. Navy SEALS (Black Berets), Coronado, CA; and 3) USAF Blue Light
(Red Berets) Strike Force;
l) Defense Advanced Research Projects Agency (DARPA), (which coordinates the application
of latest scientific findings to the development of new generations of weapons); (now called
ARPA);
m) the Jason Group (elite weapons-application scientists, developing cutting-edge-science weapons for
DARPA/ARPA, and operating under the cover of the Mitre Corporation);
o) Aquarius Group (UFO technology-application scientists, reportedly working under the guidance of
the Dolphin Society, an elite group of scientists privy to extremely classified science and technology
findings);

Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 35 of 124
Page 5 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 36

Date Filed: 12/19/2015

p) Defense Science Board, (which serves as the Defense Department's intermediary between weapons
needs and the physical sciences);
q) Defense Nuclear Agency (DNA) (currently concentrating on fusion-powered, high-energy particlebeam, X-ray laser, and EM forcefield weapons development and deployment);
r) U.S. Space Command, (Space War Headquarters for operating "the next war, which will be fought
and won in space"), jointly coordinated through Peterson AFB, Schreiver AFB, Cheyenne Mountain AFS,
Colorado Springs, and Buckley AFB, Aurora, CO;
s.1) North American Aerospace Defense Command (NORAD), (operating the nuclear-survivable space
surveillance and war command center deep inside Cheyenne Mountain), Colorado Springs, CO;
s.2) Naval Space Command, the secret lead agency in dealing with the mounting of and operating of
space-based warfare "assets" to deal with any perceived threat from space;
t) Air Force Office of Space Systems, (which coordinates the development of future technology for
operating and fighting in space);
u) National Aeronautics and Space Administration (NASA) (which operates covert space-defense,
research aabout extraterrestrial lifeforms, and space-weapons compartments, in addition to manned
Shuttle and unmanned scientific satellite launches);
v) NASA's Ames Research Center, (which conducts the SETI (Search for Extraterrestrial Intelligence)
Project, Exobiology (Star Visitor life forms) Division, and "Human Factors" (PSY-Warfare) Division),
Sunnyvale, CA;
w) Project Cold Empire (SDI weapons research-classified);
x) Project Snowbird (creating pseudo-UFOs, used as disinformation);
y) Project Aquarius (UFO research-classified);
x) Project MILSTAR (development and deployment of WW III [space war] command, control,
communication and intelligence satellites);
z) Project Tacit Rainbow (stealth drones/pseudo-UFO's);
aa) Project Timberwind (nuclear-powered spacecraft);
bb) Project Code EVA (space-walk-based technology);
cc) Project Cobra Mist (SDI energy-beam (plasmoid?) weapon research); and
dd) Project Cold Witness (SDI weapons-classified), etc.
WEAPONS INDUSTRY BRANCH
("private" [black project] weapons and covert operations contractors):
a) AT&T (Sandia Labs, Bell Labs, etc. - Star Wars weapons research and NSA telephone/satellite
communications interception facilitation); (Sandia Weapons Lab has now reportedly being taken over
by Batelle Memorial Institute, a proprietary with reported Intelligence connections);
b) Stanford Research Institute, Inc. (SRI), (an Intelligence contractor involved in
psychotronic, parapsychological and PSY-WAR research);
c) RAND Corporation (CIA-front involved in Intelligence projects, weapons development, and
underground bases development);
Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 36 of 124
Page 6 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 37

Date Filed: 12/19/2015

d) Edgerton, Germhausen & Greer Corporation (EG&G), (NSA/DOE-contractor involved in Star Wars
weapons development, fusion applications, and security for Area 51 (U.S. UFO-technology aerospace
vehicles base) and nuclear installations, etc.);
e) Wackenhut Corporation (NSA/CIA/DOE cut-out contractor) involved in contract security operations
for Top Secret Ultra and Black Budget surface and underground military reservations, such as Area S-4
(U.S. UFO base), NV and Sandia National Labs, (Star Wars weapons testing facility), NM), and,
reportedly, "dirty jobs" for CIA and Defense Intelligence agencies;
f) Bechtel Corporation (CIA's "ditch-digger" for covert projects and off-the-books underground bases);
g) United Nuclear Corporation (military nuclear applications);
h) Walsh Construction Company (on the CIA projects dole);
i) Aerojet (Genstar Corp.):( makes DSP-1 Star Wars battle satellites for the NRO);
j) Reynolds Electronics Engineering (on CIA/DoD dole);
k) Lear Aircraft Company (Black Budget technology);
l) Northrop Corporation (makes U.S. antigravity craft, back-engineered from Star Visitor technology,
ear Lancaster, CA);
m) Hughes Aircraft (classified projects compartment);
n) Lockheed-Martin Corporation (Black Budget aerospace projects);
o) McDonnell-Douglas Corporation (Black Budget aerospace projects);
p) BDM Corporation (CIA contractor, involved in UFO back-engineering and psychotronic projects,
etc.);
q) General Electric Corporation (electronic warfare and weapons systems); and
r) PSI-TECH Corporation (involved in military/Intelligence-applications of research into
psychotronics,
parapsychology,
remote
viewing,
and
contacting
extraterrestrial
consciousness);
s) Science Applications International Corp. (SAIC); "black projects" contractor, reportedly including
psychic warfare.
FINANCIAL DEPARTMENT
(Extra-Constitutional funding):
a) Federal Reserve System (cartel of private banks overseen by elite superwealthy financiers, such as
the Rockefellers, Mellons, DuPonts, Rothschilds, etc., which dictates to the Government the flow of
money, worth of money, and the interest rates the government and citizens must pay);
b) CIA self-financing (the operation and/or control of much of the international drug trade in heroin,
cocaine and marijuana, as well as "front" business enterprises, as a source of cash for off-the-books
covert operations, and the purchase of exotic munitions and strategic bribe funds);
c) Department of Justice self-financing (the use of confiscated cash and valuables from "targets of
investigation" to finance "special projects");

Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 37 of 124
Page 7 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 38

Date Filed: 12/19/2015

d) Special Forces self-financing (the self-use of confiscated "booty" from covert military operations to
fund other clandestine operations).
What conclusions can be drawn from this preliminary analysis of the structure, functions and
operations of the Shadow Government?
Foremost, the Shadow Government is a very large, well-organized, skillfully camouflaged, parallel
power structure. History suggests that it has served its masters well, and that its predilection for
operating out of sight and notoriety, if not in an outright clandestine fashion, is exactly how its
masters want it to function -- not drawing attention to itself, manipulating power behind the scenes,
and accomplishing by covert operations what cannot lawfully or politically be accomplished out in the
open.
What should be the attitude of the informed citizen to the Shadow Government?
Since it thrives in the dark, we should shine the light of full disclosure on it. Citizens can
demand: the end of the Congressional practice of allowing "Black Budget" items; the end of
unpublished secret Executive Orders and National Security Directives; the end of the
practice of indefinitely- sustained Presidential Declarations of National Emergency (as is
currently in place); the end of Federal Reserve Notes and the return to the gold standard to
back the dollar; the end to governmental domestic spying on its own citizens; and extremely
severe reduction (on the order of 90%) in the number, staffing and scope of the endlessly
proliferating Intelligence agencies, which are an anachronism since the Cold War ended;
and an end to CIA and DEA collusion in allowing a continuing stream of drugs to pour into
this country.
We founded this Country (USA); it's time to take it back.
- Richard J. Boylan, Ph.D.
Dr. Richard Boylan is a behavioral scientist, university instructor, certified clinical hypnotherapist, and
researcher into extraterrestrial-human encounters.
Richard Boylan, Ph.D., LLC,
Post Office Box 1009, Diamond Springs California 95619, United States of America.
Phone: (530) 621-2674 (PDT)
E-mail: drboylan@sbcglobal.net
WEBSITE: http://www.drboylan.com
You are invited to join his UFOFacts internet reports-and-ET/UFO/Experiencers
chat list; moderated by Dr. Boylan: (subscribe at: http://groups.yahoo.com/group/ufofacts); or
join DrRichBoylanReports (his reports-only!) list at:
http://groups.yahoo.com/group/drrichboylanreports
Posted by Stewart at 6:46 AM
Labels: american, amero, bankers, bilderberg, CFR, CIA, euro, FBI, FEMA, money, oligarchy, poverty,
project, royal, slavery, trilateral commission, UFO, wealth, world
Advanced Media Group
Stan J. Caterbone
www.amgglobalentertainmentgroup.com
Visit Our Blog For Journey of a Whistleblower
Visit Our Blog For Research Into ESP - Mental Telepathy & The U.S. Governments Activities
Visit Our Video Biography

Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 38 of 124
Page 8 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Document: 003112160036

Page: 39

Date Filed: 12/19/2015

Notice and Disclaimer: Stan J. Caterbone and the Advanced Media Group have been slandered, defamed, and publicly discredited since
1987 due to going public (Whistle Blower) with allegations of misconduct and fraud within International Signal & Control, Plc. of
Lancaster, Pa. (ISC pleaded guilty to selling arms to Iraq via South Africa and a $1 Billion Fraud in 1992). Unfortunately we are forced to
defend our reputation and the truth without the aid of law enforcement and the media, which would normally prosecute and expose
public corruption. We utilize our communications to thwart further libelous and malicious attacks on our person, our property, and our
business. We continue our fight for justice through the Courts, and some communications are a means of protecting our rights to
continue our pursuit of justice. Advanced Media Group is also a member of the media. Reply if you wish to be removed from our Contact
List. Number 7.

Fulton Bank Extortion

by Richard J. Boylan, Ph.D.

Page 39 of 124
Page 9 of 9

Saturday, December 19, 2015

November 29, 2007

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 40

Page 40 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 41

Page 41 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 42

Page 42 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 43

Page 43 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 44

Page 44 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 45

Page 45 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 46

Page 46 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 47

Page 47 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 48

Page 48 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 49

Page 49 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 50

Page 50 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 51

Page 51 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 52

Page 52 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 53

Page 53 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 54

Page 54 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 55

Page 55 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 56

Page 56 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 57

Page 57 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 58

Page 58 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 59

Page 59 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 60

Page 60 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 61

Page 61 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 62

Page 62 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 63

Page 63 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 64

Page 64 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 65

Page 65 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 66

Page 66 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 67

Page 67 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 68

Page 68 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 69

Page 69 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 70

Page 70 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 71

Page 71 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 72

Page 72 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 73

Page 73 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 74

Page 74 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 75

Page 75 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 76

Page 76 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 77

Page 77 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 78

Page 78 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 79

Page 79 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 80

Page 80 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 81

Page 81 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 82

Page 82 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 83

Page 83 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 84

Page 84 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 85

Page 85 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 86

Page 86 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 87

Page 87 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 88

Page 88 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 89

Page 89 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 90

Page 90 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 91

Page 91 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 92

Page 92 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 93

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

UNITED STATES COURT FOR THE EASTERN DISTRICT OF PENNSYLVANIA


_______________________________________________________________________________
In Re: STANLEY J. CATERBONE
and ADVANCED MEDIA GROUP,
COMPLAINANT
Case No. _________________
v.
Fulton Financial Corporation
Mr. Phillip Wenger, Chief Operating Officer of Fulton Financial Corporation
Fulton Bank
Mr. Craig Roda, President of Fulton Bank
Mr. Fernando Sanchez, Manor Branch Manager at Fulton Bank
Susan A. Follmer, Security Officer of Fulton Financial Corporation
Manhiem Township Police Department
Mr. Niel Harkins, Chief of Manhiem Township Police Department
Barley Snyder, LLC
Ms. Stephanie Carfley, Esq.,, Partner of Barley Snyder, LLC
Mr. Chris Underhill, Esq., Underhill, Brubaker and Hartman, LLC
Margaret A. Miller, Judge for the Lancaster County Court of Common Pleas
Pennsylvania Department of Transportation
Ms. Beverly Points, Esq.,
DEFENDANTS

Preliminary Emergency Injunction for Relief


ON THIS 29th day of March, 2010, I, STANLEY J. CATERBONE and ADVANCED MEDIA
GROUP,

Complainant, appearing pro se, and In Forma Pauperis, do hereby file a Preliminary

Emergency Injunction for Relief according to F.R.C.P. 65. on this 28th day of October 2009.
The Complainant cites the following under rule 65: (1) Issuing Without Notice. The court
may issue a temporary restraining order without written or oral notice to the adverse party or its
attorney only if: (A) specific facts in an affidavit or a verified complaint clearly show that immediate
and irreparable injury, loss, or damage will result to the movant before the adverse party can be
heard in opposition; and (B) the movants attorney certifies in writing any efforts made to give
notice and the reasons why it should not be required. Upon review the court will find that it is an
unnecessary and impossible burden for the Complainant to provide notice to any of the listed
parties.
Dated March 29, 2010

Page1
Fulton Bank Extortion

Page 93 of 124

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 94

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

Stan J. Caterbone
Advanced Media Group, President and Owner
Pro Se Litigant, U.S. District Court & Pennsylvania Common Pleas Court
Scaterbone@Live.com
www.amgglobalentertainmentgroup.com
1250 Fremont Street
Lancaster, PA 17603
717-826-5354
888-533-3606 Facsimile

Page2
Fulton Bank Extortion

Page 94 of 124

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 95

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

Preliminary Emergency Injunction for Relief


Summation: On March 24th, 2010 the Complainant was informed by two (2) uniformed
police officers of the Manhiem Township Police Department, on his private property behind 1250
Fremont Street, Lancaster, Pennsylvania, which is not in the jurisdiction of the Lancaster City Police
Department, that the Complainant was no longer permitted or authorized to enter the property of
Fulton Bank a the Manor Shopping Center, Millersville Pike, Lancaster.

The Manhiem Township

Police officers continued to inform the Complainant that an appointment was necessary in order to
obtain the contents of Complainant's three (3) safety deposit boxes. All three (3) have been paid
in full until the year 2011. The officers tried to serve the Complainant a letter from Fulton Bank,
and the Complainant refused to accept the letter and instructed the Manhiem Township Police
officers that it was not proper or legal to serve such a notice and that they should send it to his
residence of 1250 Fremont Street, Lancaster, Pennsylvania.
The contents of the three (3) safety deposit boxes included but are not limited to (1)
Cashiers Checks of $21,460.00 drawn on Fulton Bank (Proceeds from a $21,460.00 Social Security
Benefit Payment of August 20, 2009), a Cashiers Check in the amount of $10,000 drawn on Fulton
Bank (Proceeds of the Sheriff Sale Settlement of January 30, 2007 of 220 Stone Hill Road,
Conestoga, Pennsylvania), Cash of $1,100.00 (Proceeds of a September 20, 2009 Social Security
Benefit Payment of $1379.00), (2) Red Rose Transit 10-Trip Bus Passes, Current and Validated U.S.
Passport, prescribed medications, Social Security Administration Benefits documents, a newly
awarded Medicare Benefits Card Active April 1, 2010, 34 Memo Tapes, approximately 200 CDROMS and DVD's of computer back-ups, 4 or more computer hard drives, miscellaneous videos, an
80-Gigabyte Video Ipod, a Digital Memo Recorder, 10's of Legal Files for Current Litigation,
Business Files of Advanced Media Group, Samuel P. Caterbone's Memos and Estate Documents,
Samuel A. Caterbone's Memos and Estate Matters, Lancaster General Hospital Medical Records
from July of 2009, Lancaster Regional Medical Records of July of 2009, the Original and
Reinstatement Page for CI-08-13373 or CATERBONE v. The Duke Street Business Center, et. al.,
now pending in the Lancaster County Court of Common Pleas, Documents and Files for Case No.
07-2151 now pending before the U.S. Third Circuit Court of Appeals, Documents for case no. 0523059 before the U.S. Bankruptcy Court for Eastern Pennsylvania, Deeds to 1250 Fremont Street,
1470 Manhiem Pike, or Caterbone Cleaners, 220 Stone Hill Road, and other personal, legal, and
business documents and items owned by the Complainant's. See Exhibit B.
On Thursday, March 25, 2010 the Complainant discussed the incident of Grand Larceny with
the President Judge of the Lancaster County Court of Common Pleas, Judge Joseph Madenspacher

Page3
Fulton Bank Extortion

Page 95 of 124

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 96

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

and asked his advice. On Friday, March 26, 2010 the Complainant called the U.S. Attorney's Office
in Harrisburg, Pennsylvania to report the incident of Grand Larceny and spoke to a U.S. Attorney
who ultimately hung up on the Complainant and refused to hear his complaint of Grand Larceny.
Additionally on the same day the Complainant made calls to Mr. Craig Roda, President of Fulton
Bank, Stephanie Carfley of Barley Snyder, LLC, Mr. Chris Underhill, of Underhill Hartman and
Brubaker, LLC, and to Robert Harkins, Chief of the Manhiem Township Police Department, all of
whom never returned calls. Messages were left with assistants or in voice mail boxes describing
the entire incident in an effort to gain access to the property of the Complainant to to find some
explanation for the No Trespass Notice from Fulton Bank and the Manhiem Township Police
Department. See Exhibit A.
On Saturday, March 27, 2010 via U.S. 1st Class Certified Mail the Complainant received a
Letter from Susan A. Follmer, Security Officer of Fulton Financial Corporation stating the following:
This letter will serve as formal notice pursuant to 18 P.S. Section 3503 (b) (1) (1) of the Criminal
Code of the Commonwealth of Pennsylvania that you are no longer privileged or entitled to enter
onto any of the property of the Fulton Bank.

You are also no longer privileged to place any

telephone call to any Fulton Bank telephone number except as described below. Accordingly, any
further attempt or entry onto any Bank property may subject you to prosecution as a defiant
trespasser under the Pennsylvania Crimes Code. Should you have any questions, you may direct
them to me by telephone at 717-390-2260.

The letter failed to address the three (3) Safety

Deposit Boxes leased by the Complainant or any accommodations for the return of any of their
contents, which under state and federal criminal codes constitutes fraud and grand larceny among
other high crimes. The letter also fails to address any reasons for the No Trespass Notice, which
was preceded by no incidents, altercations, or any other actions on the part of the Complainant's to
warrant a No Trespass Notice, nor did any of the DEFENDANT'S hint that such action was being
contemplated.

This action is the 18th such No Trespass Notice in Lancaster County WITHOUT

CUASE in the last few years. See Exhibit C.


Since 1987, this is the third time such an incident has occurred during an act of replevin
with respect to the Complainant's legal and business files, constituting obstruction of due process
and obstruction of justice.

In 1987 the Complainant's Airplane was illegally repossessed by

Commonwealth National Bank (Mellon ) with legal and business files on board.

In 2006 the

Complainant's real estate and home/office of 220 Stone Hill Road was illegally sold at Sheriff Sale
and it's entire contents were stolen for a period of approximately 4 months with all legal and
business files stolen. See Exhibit D.

Page4
Fulton Bank Extortion

Page 96 of 124

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 97

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

On October 28th, 2009 the Complainant's filed an Preliminary Emergency Injunction For
Relief which addressed the source cause of these crimes, which was meant to prevent this sort of
event from occurring again, however the original injunction was stolen from the U.S. Post Office or
the U.S. District Court for the Eastern District of Pennsylvania, see case no. 09-5205. See Exhibit E.
On December 27th, 2009 the Complainant's filed the same Preliminary Emergency Injunction
For Relief in the Lancaster County Court of Common Pleas. On December 29th, Lancaster County
Court of Common Pleas Judge Margaret Miller DENIED the Request.

See Exhibit F.

Then on

January 4th, 2010 The Complainant's filed a Motion For Reconsideration, See Exhibit G, and again
Judge Margaret Miller DENIED the Request. See Exhibit H.

The Complainant seeks a temporary injunction until a permanent resolution to these issues
can be constructed.
Irreparable Harm: The irreparable harm and injure that has resulted from the above
circumstances includes but is not limited to the following:
1. Loss of personal property; business property, and legal property including items in
paragraph 2 under the Heading of Summation.
2. Loss of Cash Assets Totaling $32,560.00 and loss of use of such Cash Assets, which has the
potential for loss of the basic elements of survival: food, clothing, and shelter.
3. Loss of Passport, Medicare Card, Bus Passes and loss of use which may result in denial of
health care benefits, and inability to travel abroad if such need or opportunity arises.
4. Loss of Court Related Files and Documents necessary for current and pending litigation in
both state and federal courts which may result in dismissals or court sanctions.

Page5
Fulton Bank Extortion

Page 97 of 124

Saturday, December 19, 2015

Case: 15-3400

Document: 003112160036

Page: 98

Date Filed: 12/19/2015

Preliminary Emergency Injunction for Relief re Fulton Bank Grand Larceny March 29, 2010

Relief: The Complainant seeks immediate relief from the above in the form demanding that
Fulton Financial Corporation and Fulton Bank adhere to the agreements signed and executed for
the three (3) safety deposit boxes and demand that those agreements are continued without
interruption. The Defendant's are maliciously motivated to place the security of the contents of the
safety deposit boxes in harms way, which no other location could afford such security for the
Complainant's.

In the event the contents are lost or stolen, all the defendant's would

instantaneously become unjustly enriched due to the adverse consequences the Complainant's
would suffer without the legal files required for current or pending litigation. The Complainant are
also in desperate need of the cash assets to sustain the basic necessities and to continue it's
current litigation and criminal prosecution of the perpetrators of crimes already outlined in other
court documents.
In the event such relief as stated above are impossible to grant, the Defendant's must be
required to secure and pay for like-kind security in a location suiting to the Complainant's.

Date March 29, 2010


Stan J. Caterbone
Advanced Media Group, President and Owner
Pro Se Litigant, U.S. District Court & Pennsylvania Common Pleas Court
Scaterbone@Live.com
www.amgglobalentertainmentgroup.com
1250 Fremont Street
Lancaster, PA 17603
717-826-5354
888-533-3606 Facsimile

Page6
Fulton Bank Extortion

Page 98 of 124

Saturday, December 19, 2015

Former Fulton Bank manager accused of stealing $99,000 from Manor m...

Case: 15-3400

Fulton Bank Extortion


3 of 3

http://lancasteronline.com/business/local_business/former-fulton-bank-...

Document: 003112160036

Page: 99

Page 99 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015


12/19/2015 3:42 AM

Gmail - FW: Confused About Appointments

1 of 3

Case: 15-3400

https://mail.google.com/mail/?ui=2&ik=acf0584318&view=pt&search=i...

Document: 003112160036

Page: 100

Date Filed: 12/19/2015

Stan Caterbone <stancaterbone@gmail.com>

FW: Confused About Appointments


2 messages
Stan J. Caterbone <scaterbone@live.com>
To: Stan Caterbone <stancaterbone@gmail.com>

Mon, Apr 26, 2010 at 9:13 AM

> Subject: RE: Confused About Appointments


> Date: Sun, 25 Apr 2010 21:26:10 -0400
> From: bearingc@police.co.lancaster.pa.us
> To: scaterbone@live.com
>
> Stan,
> It is my understanding that the new appointment on Thursday will take the place of the initial one set for
Monday. This was the result of my conversation with PA Counseling last week to try to make things as
convenient for you as possible. I will attempt to confirm this first thing Monday morning and I will call you
when I do.
> Regards,
> Lt. Bearinger
>
> ________________________________
>
> From: Stan J. Caterbone [mailto:scaterbone@live.com]
> Sent: Sun 25-Apr-10 19:30
> To: Bearinger, Clark A
> Cc: Stan J. Caterbone
> Subject: Confused About Appointments
>
>
> April 25, 2010 7:18pm
>
> Dear Detective:
>
> I am getting confused, attached is the message I received on Saturday at about 5:00pm. I tried calling right back
but the message said the office was closed. The woman said I now have an appointment on Thursday, April 29,
2010 (day of Tommy's Suicide Anniversary - I usually reserve this day for My Mom and Tommy!). Anyway, they did
not say if it was in conjunction with Monday at East Petersburg, or in replace of it.
>
> I am demanding that any appointments be sent to me in writing, by yourself or Amilia, the Social Worker at
Fairmount Health Systems. My facsimile number is 888-533-3606. I will receive any facsimiles by email.
>
> I would think that because everything is being filed in the Lancaster County Court of Common Pleas, asking for my
appointments in writing should be expected. The only appointment on the record is for a follow-up with Dr. Brian
Sullivan, my primary care physician, and Amilia told me on Thursday that they will not manage my prescriptions.
Again, it looks like everyone is trying their hardest to confuse me.
>
> For the past 30 years I have been living by the adage that if it is not worth putting it in writing, then it isn't worth a
damn; and it always has proved successful!
>
> For the record, my prescription was paid for in cash, $127.00, and I have been taking them as instructed since
Thursday, April 22, 2010. Again, as with everything, my Medicare Prescription plan is being charged against my
Social Security Payments, but I have not received my Prescription Card!
>

Fulton Bank Extortion

Page 100 of 124

Saturday, December 19, 2015

5/5/2010 1:53 AM

Gmail - FW: Confused About Appointments

2 of 3

Case: 15-3400

https://mail.google.com/mail/?ui=2&ik=acf0584318&view=pt&search=i...

Document: 003112160036

Page: 101

Date Filed: 12/19/2015

> I will not be making anymore cash contributions to this 302 Petition.
>
> Please do not hesitate to call me if there is a problem with my request for my appointment to be in writing.
>
> If you want to call me first thing on Monday, I will take your word for it for my Monday appointment, but that will be
the last time without it in writing.
>
> Sorry for the inconvenience, but I hope you understand my frustration.
>
>
>
>
>
> Stan J. Caterbone
>
> Advanced Media Group
>
>
>
>
> www.amgglobalentertainmentgroup.com <http://www.amgglobalentertainmentgroup.com/>
>
>
> www.advancedmediagroup.wordpress.com
> <http://www.scribd.com/amgroup01>
>
> http://www.scribd.com/amgroup01
> www.facebook.com/scaterbone
> www.twitter.com/StanCaterbone <http://www.twitter.com/scaterbone>
> www.mcvictimsworld.ning.com/profile/StanJCaterbone
>
> www.youtube.com/advancedmediagroup
>
> Notice and Disclaimer: <http://www.amgglobalentertainmentgroup.com/gpage23.html> Stan J. Caterbone and the
Advanced Media Group have been slandered, defamed, and publicly discredited since 1987 due to going public
(Whistle Blower) with allegations of misconduct and fraud within International Signal & Control, Plc. of Lancaster, Pa.
(ISC pleaded guilty to selling arms to Iraq via South Africa and a $1 Billion Fraud in 1992). Unfortunately we are
forced to defend our reputation and the truth without the aid of law enforcement and the media, which would
normally prosecute and expose public corruption. We utilize our communications to thwart further libelous and
malicious attacks on our person, our property, and our business. We continue our fight for justice through the Courts,
and some communications are a means of protecting our rights to continue our pursuit of justice. Advanced Media
Group is also a member of the media. Reply if you wish to be removed from our Contact List. How long can
Lancaster County and Lancaster City hide me and Continue to Cover-Up my Whistle Blowing of the ISC Scandel?
>
>
> Summation: Due to the actions and criminal activity of the foregoing (see Criminal Indictment Page) <http://www.
amgglobalentertainmentgroup.com/gpage38.html> , it is reasonable to prove that every aspect of the Complainant's
life, Stan J. Caterbone, is subject to undo influence; harassment; torture; obstruction; etc. This situation and set of
circumstances as outlined here, and in the page "State of Affairs" and all previous filings; reports; and statements, is
a prescription for only one endgame - death or suicide. There is no life action or activity that is immune from this
horrendous HATE CRIME. The precedent and landmark elements that make this so appalling is that the Complainant
has never done anything to set these circumstances in motion but to be right regarding International Signal & Control
back in 1987; as well as many other proclamations and forecasts. That being said, it is also widely reported that
many Targeted Individuals and Victims of U.S. Sponsored Mind Control are lead to death and/or suicide. The
Lancaster Community-At-Large is guilty of creating; abetting; fostering; and executing this tragedy. The fact that
local; state; and federal law enforcement induce and encourage this environment of hate is landmark.
>
>

Fulton Bank Extortion

Page 101 of 124

Saturday, December 19, 2015

5/5/2010 1:53 AM

Gmail - FW: Confused About Appointments

3 of 3

Case: 15-3400

https://mail.google.com/mail/?ui=2&ik=acf0584318&view=pt&search=i...

Document: 003112160036

Page: 102

Date Filed: 12/19/2015

>
>
>
> ________________________________
>
> The New Busy is not the too busy. Combine all your e-mail accounts with Hotmail. Get busy.
<http://www.windowslive.com/campaign/thenewbusy?tile=multiaccount&ocid=PID28326::T:WLMTAGL:ON:WL:enUS:WM_HMP:042010_4>

The New Busy is not the old busy. Search, chat and e-mail from your inbox. Get started.
Stan J. Caterbone <scaterbone@live.com>
To: Stan Caterbone <stancaterbone@gmail.com>

Wed, May 5, 2010 at 1:52 AM

[Quoted text hidden]

The New Busy think 9 to 5 is a cute idea. Combine multiple calendars with Hotmail. Get busy.

Fulton Bank Extortion

Page 102 of 124

Saturday, December 19, 2015

5/5/2010 1:53 AM

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 103

Page 103 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 104

Page 104 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 105

Page 105 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 106

Page 106 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 107

Page 107 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 108

Page 108 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 109

Page 109 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 110

Page 110 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 111

Page 111 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 112

Page 112 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 113

Page 113 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 114

Page 114 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 115

Page 115 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 116

Page 116 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 117

Page 117 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 118

Page 118 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 119

Page 119 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 120

Page 120 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 121

Page 121 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 122

Page 122 of 124

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 123

Page 123 of 124

Page No. 1 of 16
6

Date Filed: 12/19/2015

Saturday, December 19, 2015

Case: 15-3400

Fulton Bank Extortion

Document: 003112160036

Page: 124

Page 124 of 124

Page No. 2 of 16
6

Date Filed: 12/19/2015

Saturday, December 19, 2015

S-ar putea să vă placă și