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-------------ELECTION YEAR:------------------------------------Office:
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2012
President
0 DEMOCRATIC
342476 Secondary District: 0
District: Party:
Pet Id :
Objection Candidate ._---------_.Obama Obama Obama Obama Obama Obama Obama Obama Obama Obama Name
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Filed -----.--.,--~-10 10 14 14 15 15 15 15 16 16 FES FEB FES FES FEB FEB FEB FEB FES FEB 2012 2012 2012 2012 2012 2012 2012 2012 2012 2012
Sarack Barack Sarack Barack Sarack Barack Sarack Barack Sarack Barack
Objection Postmarked -------09 FES 2012 11 13 13 13 13 13 13 13 FEB FEB FEB FEB FEB FEB FEB FEB 2012 2012 2012 2012 2012 2012 2012 2012
Specification s Due _._----_._. 15FEB2012 16 FEB 2012 17 FEB 2012 21 FEB 2012 13 FEB 2012 21 FEB 2012 21 FEB 2012 21 FEB 2012 21 FES 2012 21 FEB 2012
Specifications Filed ----.-.--~15 FEB 2012 10 FES 2012 14 FEB 2012 15 JUL 2012 16 FES 2012
Specifications Postmarked --------------_ ... 13FEB2012 11 FEB 2012 13 JUL 2012 14 FEB 2012
16 FEB 2012
14 FEB 2012
Objector's Name .~...~. .. Christopher B. Garvey H_William Van Allen Christopher Strunk Fitzgerald Aimee J. J, Thomas Dean Leonard Volodarsky John M Allegato Natalie Allegato Julianne M Thompson Alton Yee
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Hearing Date
Hearing Result
REPUBLICAN
342620 Secondary Distrlct : 0
Name
Supporting
Specifications Filed
Candidate Status V
Hearing Date
Hearing Result
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Specific Objections to the OBAMAFOR AMERICAFiling with the NYS Board of Elections on February 9, 2012
CERTIFIED RETURN RECEIPf No: 70111570000033846640
NEWYORKSTATE BOARDOF ELECTIONS, 40 Steuben Street Albany New York 12207 Attention: JAMES A. WALSH / Co-Chair, DOUGLASA. KELLNER/ Co-Chair, EVELYNJ. AQUIIA / Commissioner, GREGORYP. PETERSON / Commissioner,
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Accordingly, I, Christopher-Earl: Strunk in esse being duly sworn, depose and say under penalty of perjury:
1. Objector is located for service at 593 Vanderbilt Avenue -281 Brooklyn, New York 11238 (845) 901-
6767 emai1: chri~strunk.ws.; and is a duly registered voter in the 2008 and 2012 election cycle. 2. That Objector has already filed a complaint and demand for hearing with Election Law (EL)3-104 of the declared candidate Barack Hussein Obama II as not being eligible for the Office of President of the United States (POTUS)and demands a hearing on the declared candidates eligibility on 2/14/12 or as soon thereafter as the Chairman and Commissioners may chose to convene to take evidence and testimony to bar Barack Hussein Obama II from the 2012 Presidential Election cycle ballots as time is of the essence. 3. That Objector references the NYSBOE notice that agents of the OBAMAFOR AMERICAcampaign filed designating petitions on February 9,2012 that designates Barack Hussein Obama II for ballot access at the Democratic Party Primary in the start of the DEMOCRATICDELEGATESELECTION PIAN FILING. 4. That Objector challenges the Certification of both the declared candidate BHO II and all the petitions and filing documents as a nullity against public policy in that Barack Hussein Obama II is not eligible for the Office of the President of the United States (POTUS)because he is not a "Natural Born Citizen'" (NBC)as is required under New York State law in compliance with the U.S. Constitution Article 2 Section 1 paragraph 5 and New York provision of law defining "Natural born Citizen" and therefore all the designating petitions must be rejected as defective .. 5. That objections are based upon the admission of Barrack Hussein Obama II with the release of his autobiography. "Dreams From My Father" (1995) the British subject at his birth was Barack Hussein Obama Sr. - as such BHO II is not NBCand ineligible for POTUS. 6. That objections are based upon the INS record signed by Barrack Hussein Obama Sr. that BHO II's father was a Foreign Alien non-immigrant With a student visa and never was at anytime a US Citizen or even had a "Green Card" - as such BHO II is not NBC and ineligible for POTUS. 7. That objections are based upon the record of the divorce decree issued from the Hawaii court of competent jurisdiction British subject Barack Hussein Obama Sr. was married to the U.S. Citizen Stanley Ann Obama being of minor age at the .time of the birth of Barack Hussein Obama II; 8. That objections are based upon the supposed Certificate of Live Birth (COLB)released by Barack Hussein Obama II during a press conference in April 2011, alleging BHO II was born in Hawaii to U.S. Citizen Stanley Ann Dunham Obama, the mother, and British Subject Barack Hussein Obama Sr. the father on August 8, 1961. 9. The evidence shows that at best, Barack Hussein Obama II may merely be a native born naturalized citizen not a "Natural-Born Citizen", a-person born in the country of US Citizen parents as defined by the Supreme Court of the United States (SCOTUS)in the precedent set in Minor. v. Happersett 88 Strunk ~laflTt and Demand for Hearing fvith EL 3-104 Page 1 of 2
o B'Jec.i1I9\JS 15
U.S. 162 (1875), 1 Wall. 162,and 22 L Ed. 627.by Justice Waite holding that natural born citizens 2 . (NBC) se are so by virtue of birth on United States soil when both parents were Citizens of the per United States according to the US Constitution Article 2 Section 1 paragraph 5 de jure citizens without reaching the need of use of the 1t Amendment or the power of Congress granted with 4h Article 1 Section 8 paragraph 4 to define naturalization and immigration status person other than NBC persons; and a s upheld by New York State jurisprudence a s to NBC defined in state law. 10.That Barack Hussein Obama I is not a Natural- born Citizen however may be classified a s "Born a 1 Citizen" depending upon the power of Congress granted to define such status other than NBC. 11. That objector challenges Barack ~ u s s e i n Obama I1 and or his agents to prove both the place of birth and that both of his parents at the time of his birth were US Citizens. 1 .That on February 9, 2012,Objector duly filed in the N S Supreme Court County of Kings I.A.S. Part 2 Y 27 in Case Strunk v. N S BOE et a 201 1-6500a notice of motion for leave of direct appeal to the Y 1 New York State Court of Appeals a s of right with a stay of the trial court proceedings until the sole . US Constitutional issue being Barack Hussein Obama 11's ineligibility is +
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NAME
DEMOCRATIC PARTY
DESIGNATING PETITION
PUBLIC OFFICE
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PLACE OF RESIDENCE
BARACK OBAMA
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The petition contains the number, or in excess of the number, of valid signatures by the Election Law.
required
118 E. 931'11 St., Apt. 1 n Manhattan, xv 10128-1664 (also mailing address if different)
Phone:
917-287-5849
Fax:
I hereby authorize that notice of any determination transmitted to the person named above:
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I, the undersigned, do hereby state that I am a duly enrolled voter of the Democratic Party and entitled to vote at the next primary election of such party, to be held on April 24, 2012; that my place of residence is truly stated opposite my signature hereto, and I do hereby designate the following named person (or persons) as a candidate (or candidates) for the nomination such party for public office or for election to a party position of such party.
of
NAME
PUBLIC OFFICE
PLACE OF RESIDENCE
BARACK OBAMA
I DO HEREBY APPOINT NAMES Robert Diamond Charles King Jay Jacobs Stephanie Hausner Rueben Diaz Jr. Elsie Raymor Sheila Comar Jerome A. Koenig
all of whom are enrolled voters of the Democratic
Party, as a committee
In witness whereof, I have hereunto set my hand, the day and year placed opposite my signature.
Date Name of Signer (Signature Required) Residence Town or City, Except In New York City The County
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Page 1 of 6
Status Valid
Barack Obama
02/09/2012
24
5006
Republican
Name Received date Vols Pages
Supporting Supporting
Status Valid
Newt Gingrich
02/02/2012
Page 2 of 6
Democratic
Name Received date Vols Pages
Supporting Supporting
Kimberly Jean-Pierre 02/09/2012 Jon Cooper 02/09/2012 Renee Ortiz 02/09/2012 James Gaughran 02/09/2012 June Smith 02/09/2012 Marcos Maldonado 02/09/2012 Janice Tinsley 02/09/2012 Phil Ramos 02/09/2012 Congressional District District: 3
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Michael Florio 02/09/2012 Gemma Deleon 02/09/2012 Charles Lavine 02/09/2012 Linda Dunkel 02/09/2012 David Gugerty 02/09/2012 Eva Pearson 02/09/2012 Philip Nolan 02/09/2012 Gina Sillitti 02/09/2012 Congressional District District: 5
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Jonathan Kaiman 02/09/2012 Toby Ann Stavisky 02/09/2012 Matthew R. Silverstein 02/09/2012 Grace Meng 02/09/2012 Wayne Wink 02/09/2012 Judi Bosworth 02/09/2012 Evan M. Stavisky 02/09/2012 Congressional District District: 17
1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
1 1 1
Page 3 of 6
Democratic
Name Received date Vols Pages
Supporting Supporting
Ruth Hassell-Thompson 02/09/2012 Reginald Lafayette 02/09/2012 Mary Greathead 02/09/2012 Christopher St. Lawrence 02/09/2012 Kristen Stavisky 02/09/2012 Congressional District District: 18
1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Tajian Jones 02/09/2012 Bill Alexander 02/09/2012 Suzanne Berger 02/09/2012 Noam Bramson 02/09/2012 Barbara Gerrard 02/09/2012 Mark Lewis 02/09/2012 Florence McCue 02/09/2012 Kenneth Zebrowski 02/09/2012 Congressional District District: 19
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Sean Eldridge 02/09/2012 Donna Marino 02/09/2012 William Oliphant 02/09/2012 Angela Valles 02/09/2012 James Skoufis 02/09/2012 Sonia Ayala 02/09/2012 Reinaldo Diaz 02/09/2012 Denise Bolds 02/09/2012 Congressional District District: 20
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Suzy Ballantyne William Hughes, Jr. Kristen Dart Brian Kelly Amanda Boomhower
1 1 1 1 1
Page 4 of 6
Democratic
Name Received date Vols Pages
Supporting Supporting
1 1
159 159
OBAMA OBAMA
Democratic
Name Received date Vols Pages
Supporting Supporting
Clifford Hay 02/09/2012 Bethany Schuman02/09/2012 McGhee Thomas Wade 02/09/2012 Mary Sullivan 02/09/2012 Gustavo Santos 02/09/2012 Marion Porterfield 02/09/2012 Ronald E. Bailey 02/09/2012 Elizabeth Navran 02/09/2012 Congressional District District: 22
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Lin Sakai 02/09/2012 Tony Fiala 02/09/2012 Irene Stein 02/09/2012 Jonathan Jacobson 02/09/2012 Shellye Schoonmaker 02/09/2012 Svante Myrick 02/09/2012 Donna Murray 02/09/2012 Daniel Torres 02/09/2012 Congressional District District: 23
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Mark Bellardini 02/09/2012 Judy Prosser 02/09/2012 Edmund Jasewicz 02/09/2012 Jacquelyn A. Schell 02/09/2012 Michael Zagrokelny 02/09/2012 Colleen Wheaton 02/09/2012 Michael Cashman 02/09/2012 Congressional District District:
1 1 1 1 1 1 1
Page 5 of 6
Democratic
Name Received date Vols Pages
Supporting Supporting
Mary Salotti 02/09/2012 Gary Koutnik 02/09/2012 Carly Abbott 02/09/2012 Ryan Reynolds 02/09/2012 Mary Orth 02/09/2012 Jim Bays 02/09/2012 Katherine W. Pumilio 02/09/2012 Congressional District District: 25
1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Andrew Maxwell 02/09/2012 Diane Dwire 02/09/2012 Craig Wilson 02/09/2012 Shannon O'Connor 02/09/2012 Ken Preston 02/09/2012 Corey Driscoll 02/09/2012 Edward O'Shea 02/09/2012 Angela Desantis 02/09/2012 Congressional District District: 26
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Linda Berman 02/09/2012 Daniel Rivera 02/09/2012 Karen Lee-Byfield 02/09/2012 David Garretson 02/09/2012 Judith Hunter 02/09/2012 John M. Dukesbury 02/09/2012 Lorie Longhany 02/09/2012 Jeremy Bennett 02/09/2012 Congressional District District: 27
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
1 1 1
Page 6 of 6
Democratic
Name Received date Vols Pages
Supporting Supporting
Lucinda A. Ikins-Letro 02/09/2012 Erik Coler 02/09/2012 Cynthia Ahlstrom 02/09/2012 Darius G. Pridgen 02/09/2012 Cheryl Meyers-Buth 02/09/2012 Congressional District District: 28
1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Jeanne Crane 02/09/2012 Thaddeus Mack 02/09/2012 Melisza Campos 02/09/2012 Joseph Morelle 02/09/2012 Crystal Peoples 02/09/2012 George K. Arthur 02/09/2012 Rosalind Hampton 02/09/2012 David Gantt 02/09/2012 Congressional District District: 29
1 1 1 1 1 1 1 1
Democratic
Name Received date Vols Pages
Supporting Supporting
Shawn Hogan Rabia Aziz Jerry Seward Judy Baker Alex Yudelson Brittany Melfi Taylor Bold Susan Vandervoort
1 1 1 1 1 1 1 1
February __, 2012 [no later than Monday Feb. 13, 2012] Election Operations NY State Board of Elections 40 Steuben Street Albany, NY 12207-2108
Re: General Objection to Democratic Party Designating Petition, Designating Barack Obama, as filed with the NYS Board of Elections on February 9, 2012
Sirs, I am a registered voter, registered to vote in 2012 in New York State, for the President of the United States, and S I hereby generally object to the: Democratic Party Designating Petition, Designating Barack Obama, as a Candidate for President of the United States, as filed with the NYS Board of Elections on February 9, 2012. My specific objections will follow before Thursday Feb. 16, 2012. Respectfully Submitted, Signature:
Specification of Objections to Designating Petitions to the OBAMA FOR AMERICA Filing with the NYS Board of Elections on February 9, 2012
CERTIFIED RETURN RECEIPT Election Operations NEW YORK STATE BOARD OF ELECTIONS, 40 Steuben Street Albany New York 12207 Attention: JAMES A. WALSH / Co-Chair, DOUGLAS A. KELLNER / Co-Chair, EVELYN J. AQUILA / Commissioner, GREGORY P. PETERSON / Commissioner,
STATE OF NEW YORK ) ) ss. COUNTY OF KINGS ) Accordingly, I, __________________________________ being duly sworn, depose and say under penalty of perjury: 1. Objector is located for service at ______________________________________________________ Phone: ____________________________________________________________________ email: _______________________________.; and is a duly registered voter in the 2012 election cycle. 2. The declared candidate Barack Hussein Obama II (Obama) is not eligible for the Office of President of the United States (POTUS) and Objector demands a hearing on the declared candidates eligibility on 2/14/12 or as soon thereafter as the Chairman and Commissioners may chose to convene to take evidence and testimony to bar Barack Hussein Obama II from the 2012 Presidential Election cycle ballots, as time is of the essence. 3. That Objector references the NYS BOE notice that agents of the OBAMA FOR AMERICA campaign filed designating petitions on February 9, 2012 that designates Barack Hussein Obama II for ballot access at the Democratic Party Primary in the start of the DEMOCRATIC DELEGATE SELECTION PLAN FILING. 4. That Objector challenges the Certification of both the declared candidate BHO II and all the petitions and filing documents as a nullity against public policy in that Barack Hussein Obama II is not eligible for the Office of the President of the United States (POTUS) because he is not a Natural Born Citizen as is required under New York State law in compliance with the U.S. Constitution Article 2 Section 1 paragraph 5 and New York provision of law defining Natural born Citizen and therefore all the designating petitions must be rejected as defective. 5. That objections are based upon the admission of Barrack Hussein Obama II with the release of his autobiography. Dreams From My Father (1995) the British subject at his birth was Barack Hussein Obama Sr. as such BHO II is not a Natural Born Citizen and ineligible for POTUS. 6. That objections are based upon the INS record signed by Barrack Hussein Obama Sr. that BHO IIs father was a Foreign Alien non-immigrant with a student visa and never was at anytime a US Citizen or even had a Green Card as such BHO II is not Natural Born Citizen and ineligible for POTUS.
Specific Objections to Obama Candidacy Page 1 of 3
7. That objections are based upon the record of the divorce decree issued from the Hawaii court of competent jurisdiction British subject Barack Hussein Obama Sr. was married to the U.S. Citizen Stanley Ann Obama being of minor age at the time of the birth of Barack Hussein Obama II; 8. That objections are based upon the supposed Certificate of Live Birth (COLB) released by Barack Hussein Obama II during a press conference in April 2011, alleging BHO II was born in Hawaii to U.S. Citizen Stanley Ann Dunham Obama, the mother, and British Subject Barack Hussein Obama Sr. the father on August 8, 1961. 9. The evidence shows that at best, Barack Hussein Obama II may merely be a native born naturalized citizen, not a Natural-Born Citizen A Natural Born Citizen is a person born in the United States, of US Citizen parents, as defined by the Supreme Court of the United States (SCOTUS) in the precedent set in Minor. v. Happersett 88 U.S. 162 (1875), 21 Wall. 162, and 22 L. Ed. 627. by Justice Waite holding that natural born citizens per se are so by virtue of birth on United States soil when both parents were Citizens of the United States according to the US Constitution Article 2 Section 1 paragraph 5 de jure citizens without reaching the need of use of the 14th Amendment or the power of Congress granted with Article 1 Section 8 paragraph 4 to define naturalization and immigration status person other than Natural Born Citizen persons; and as upheld by New York State jurisprudence as to Natural Born Citizen defined in state law. 10. That Barack Hussein Obama II is not a Natural- born Citizen. However he may be classified as Born a Citizen depending upon the power of Congress granted to define citizen status, other than Natural Born Citizen. 11. That Obama may have renounced his citizenship at various times. 12. That Obama received a public education In Indonesia, where public education was only provided to Indonesian Citizens and dual citizenship was not permitted. 13. That Obama applied for financial aid as a foreign student within the United States. 14. Said application[s] was evidence that he is not a US Citizen. 15. Said application[s] as a foreign student may have operatively served as renunciation of his US Citizenship. 16. Obama may have traveled as an Indonesian Citizen, with an Indonesian Passport, when dual citizenship was not permitted. 17. That Obama is ineligible to be President because he has violated his oath of office to protect and defend the Constitution. 18. That by pretending to be President, when he is not a Natural Born Citizen, he has violated U.S. Constitution Article 2 Section 1 paragraph 5. 19. That he has attacked the First Amendment by arresting persons and members of the press at peaceful assemblies. 20. That he has attacked the First Amendment by forcing religious organizations to act in violation of their beliefs,. 21. That he has used the ATF to violate the Second Amendment. 22. That he has attacked the Fourth Amendment by, without warrant, using agents to conduct unreasonable searches and seizures of persons, houses, places and effects, including data and private communications. 23. That he has attacked the Fourth Amendment by depriving American Citizens of life, liberty, and property, without due process of law. 24. That he has attacked the Sixth Amendment, by denying accused persons a speedy and public trial, by an impartial jury of the State and district wherein the crime shall have been committed, which district shall have been previously ascertained by law, and to be informed of the nature and cause of the accusation; to be confronted with the witnesses against him; to have compulsory process for obtaining witnesses in his favor, and to have the Assistance of Counsel for his defense. 25. That he has attacked the Sixth Amendment, by arresting and imprisoning trial Counsel.
Specific Objections to Obama Candidacy Page 2 of 3
26. That he has violated the Seventh Amendment, by imposing Civil penalties on persons, where the value in controversy exceeded twenty dollars, without the right of trial by jury 27. That he has violated Amendment 8 -by requiring excessive bail, imposing excessive fines, and inflicting cruel and unusual punishments. 28. That he has violated Amendment 9 by denying and disparage other rights retained by the people. 29. That he has violated Amendment 10, by usurping powers not delegated to the United States by the Constitution, nor prohibited by it to the States, which are reserved to the States respectively, or to the people. 30. Wherefore: objector challenges Barack Hussein Obama II and or his agents to prove both the place of birth and that both of his parents at the time of his birth were US Citizens, and that he has never renounced his US Citizenship, nor violated his oath of office.
Signed
_ ________________________________
Objector's name: _____________________________, Objector Sworn to before me This ___ day of February 2012
Barrack Hussein Obama II The White House 1600 Pennsylvania Avenue NW Washington, DC 20500
optional CC: OBAMA FOR AMERICA (OFA) Headquarters 25 E. 21st St New York, NY, 10010
Page 3 of 3