Upload
nocompromisewtruth
View
218
Download
0
Embed Size (px)
Citation preview
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
1/108
Declaration of Lisa Liberi 1
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Philip J. Berg, EsquirePennsylvania I.D. 9867LAW OFFICES OF PHILIP J. BERG555 Andorra Glen Court, Suite 12Lafayette Hill, PA 19444-2531Telephone: (610) 825-3134E-mail: [email protected] Attorney for Plaintiffs
UNITED STATES DISTRICT COURT
FOR THE CENTRAL DISTRICT OF CALIFORNIA,
SOUTHERN DIVISION
LISA LIBERI, et al,
Plaintiffs,
vs.
ORLY TAITZ, et al,
Defendants.
:
::::::::::::::
::
CIVIL ACTION NUMBER:8:11-cv-00485-AG (AJW)
DECLARATION OF LISA LIBERI
Date of Hearing: October 17, 2011Time of Hearing: 10:00 a.m.Location: Courtroom 10D
Declaration of Lisa Liberi
I, Lisa Liberi, am over the age of 18 and am a party to the within action. I
have personal knowledge of the facts herein, and if called to do, I could and would
competently testify. I am making this Declaration under the penalty of perjury of
the Laws of the United States pursuant to 28 U.S.C. 1746 and aver as follows:
1. All through the Law Offices of Orly Taitz [L.O.O.T.] Motion to
Dismiss, Docket No. 376 and Amended Motion to Dismiss, Docket No. 377, Orly
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 1 of 25 Page ID#:9043
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
2/108
Declaration of Lisa Liberi 2
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Taitz [Taitz], Attorney for L.O.O.T. has lied repeatedly and is again attempting
to change the history of this case and the events evolving around why this lawsuit
was filed.
2. In fact, Orly Taitzs filing of September 14, 2011, L.O.O.T.s Motion
to Dismiss, Docket No. 376 was posted by Orly Taitz all over the Internet at:
Defendant Orly Taitz's Website, http://www.orlytaitzesq.comat:
http://www.orlytaitzesq.com/?p=25553http://www.orlytaitzesq.com/?attachment_id=25552
http://www.orlytaitzesq.com/?attachment_id=25551http://www.orlytaitzesq.com/?attachment_id=25550http://www.orlytaitzesq.com/?attachment_id=25549http://www.orlytaitzesq.com/wp-content/uploads/2011/09/Lisa-Liberi-criminal-record-bankruptcy-record.pdfhttp://www.orlytaitzesq.com/wp-content/uploads/2011/09/Liberi-v-Taitz-12.23.2010-pdf-memorandum-by-Judge-Robreno.pdfhttp://www.orlytaitzesq.com/wp-content/uploads/2011/09/Liberi-v-TAaitz-10.10.2011-hearing-motion-to-dismiss-Law-offices.pdfhttp://www.orlytaitzesq.com/wp-content/uploads/2011/09/declaration-of-Lisa-Liberi-first-5-digits-of-SSN-redacted-.pdf
Defendant Orly Taitz and Defendant Dr. Orly Taitz's Facebook pagesat:
http://www.facebook.com/orlytaitz/posts/10150295924320975http://www.facebook.com/dr.orly.taitz/posts/10150312895303950http://www.facebook.com/dr.orly.taitz?sk=app_9953271133http://www.facebook.com/dr.orly.taitz
http://www.facebook.com/orlytaitz?sk=wallhttp://networkedblogs.com/n6vA1http://networkedblogs.com/n6vA1?a=share&ref=nf
Defendant Orly Taitz'sBefore it's News:http://beforeitsnews.com/bio/0000000000024233 at pages at:
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 2 of 25 Page ID#:9044
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
3/108
Declaration of Lisa Liberi 3
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
http://beforeitsnews.com/story/1101/559/submitted_to_Judge_Andrew_Guilford_in_Central_District_of_CA_today.html
Taitz published her false pleadings all over the Internet to give her lies credibility
and to further harm Lisa Ostella, Mr. Berg and me with her continued inciting
false allegations, false recitations and flat out lies.
3. I filed suit against Ms. Taitz and the other Defendants as a result of
the illegal background checks conducted on me; the illegal access of my credit
reports; the illegal disclosure of my full Social Security number, date of birth,
place of birth, mothers maiden name, fathers name, home address, telephone
number, the harassment of my friends and family, and Ms. Taitzs disclosure of my
private details to John Mark Allen, my sons father who my son and I were
provided protection from as a result of the crimes committed against us. Ms. Taitz
continues twisting the reasons Plaintiffs filed suit and continues misstating the
truth. All of the foregoing Orly Taitz has admitted in her Motion to Dismiss filed
on behalf of Defend our Freedoms Foundations, Inc., Docket No. 283.
4. Orly Taitz has threatened me several times. Orly Taitz stated she was
going to destroy me and get rid of me, which Orly Taitz has admitted in her Court
filings. Orly Taitz has put on the Internet and on her website that I needed to be
gotten rid of and other threats. Not only has Orly Taitz made these direct threats
she has also implied her intentions and threats with all her postings, her statements,
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 3 of 25 Page ID#:9045
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
4/108
Declaration of Lisa Liberi 4
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
her circulation of my pictures and home address, sending my private details along
with my pictures to white supremacy groups, hate groups, armed militia groups
posting about me on average every two [2] to three [3] days for the past two and
one-half [2-1/2] years, calling for her supporters in Santa Fe, New Mexico where I
reside to assist her regarding me, etc.
5. Orly Taitz has been asked to stop; Orly Taitz has been served with al
the pleadings in this case; she has all the transcripts of all hearings; Orly Taitz is
well aware her actions have put me in fear of my life and fear for the lives of my
son and husband; regardless, Orly Taitz has continued her actions.
6. Orly Taitz is aware I have heart complications; she understands wha
this means as she has repeatedly stated she is a doctor, a dentist and a lawyer. Orly
Taitz is also aware of the complications her harassment has caused me; the
hospitalizations, etc. Regardless of this, Orly Taitz has continued her behaviors.
7. I watch Orly Taitzs website at www.orlytaitzesq.com as do witnesses
of ours for Orly Taitzs postings. All of Orly Taitz postings on file with this Cour
I have obtained, as well as other individuals, directly from Orly Taitzs website by
going to http://www.orlytaitzesq.com, I then print them to PDF format and
maintain a hard copy.
8. Orly Taitz, on behalf of her law practice, falsely claims on her first
page that Lisa Ostella, Mr. Berg and I worked together. This is a complete lie and
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 4 of 25 Page ID#:9046
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
5/108
Declaration of Lisa Liberi 5
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Taitz knows it. Mr. Berg and I did not meet Lisa Ostella until the end of April,
beginning of May 2009 when it was decided to file suit against Orly Taitz and the
other Defendants. We were introduced by Evelyn Adams, a Plaintiff in the Texas
version of this case. Lisa Ostella did assist Mr. Berg one time, after the within suit
was filed, with his website on an emergency basis, that was it. It was Orly Taitz
who brought us together as Lisa Ostella and myself were being viciously attacked
and falsely accused of crimes that we never committed, as well as other false
allegations by Taitz.
9. Orly Taitz states on the first page of her Motion to Dismiss [MTD]
and Amended MTD that we filed suit against her and her family and relatives as a
result of them blowing the whistle on me, Berg and Ostella. This is a
complete lie. There were not any whistles to blow. Orly Taitz has not blown the
whistle on anyone. Orly Taitz manufactures statements about people to belittle
them, harass them, bully them, embarrass them, libel, slander and defame them and
manufactures, creates and forges documents in attempts to substantiate her false
allegations. This is not whistle blowing.
10. As explained below, I believe Orly Taitz was seeking my help to
blame me for her forgeries, fraudulent documents, and criminal behaviors, as she
was aware I had a criminal conviction. But, Taitzs plan did not work as I refused
to have anything to do with her. Taitz has a pattern of illegal acts, filing altered
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 5 of 25 Page ID#:9047
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
6/108
Declaration of Lisa Liberi 6
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
and fraudulent documents with our Courts and attacking those who refuse to give
her what she wants.
11. I have never had anything to do with Orly Taitz. Orly Taitz sough
the help of Mr. Berg and me. I spoke to Orly Taitz one time, which was in or
about November 2008. Orly Taitz wanted me to assist her with a Writ of Cert in
the U.S. Supreme Court. I declined and refused to have anything to do with her.
12. I later learned that the case she was collecting monies for, that she
wanted my assistance with, Lightfoot v. Bowen, was never filed in a trial Court
Orly Taitz was lying to her supporters and collecting monies based on her false
statements. What Orly Taitz had done was attempted to file the case for its first
time by way of a Writ of Mandamus for a Stay in the California Supreme Court
and was denied. Ms. Taitz was then attempting to appeal to the U.S. Supreme
Court, which as this Court is aware, is completely improper. See Lightfoot v
Bowen, California Supreme Court Case No. S168690, filed December 3, 2008,
Denied December 5, 2008.
13. Ms. Taitz then filed for an Emergency Stay with Justice Kennedy in
the U.S. Supreme Court on December 17, 2008, which was Denied; Taitz re-filed it
December 29, 2008 to the Chief Justice. Since this was the second submission of
the Emergency Stay, pursuant to U.S. Supreme Court Rules, the Court set it for
Conference so all the Justices could review it, accept it or deny it in one sitting
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 6 of 25 Page ID#:9048
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
7/108
Declaration of Lisa Liberi 7
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Instead of telling her supporters the truth, Orly Taitz continued lying to all her
supporters screaming her filings had merit and it was set for conference, at the
same time asking for her supporters to continue donating, which they did on her
false statements. Ms. Taitz then attempted to recuse the Justices in the U.S
Supreme Court from hearing the matter. Once Ms. Taitz was denied by the panel
she viciously went after Danny Bickel, the U.S. Supreme Court Stays Clerk. Orly
Taitz falsely accused Danny Bickel of all types of crimes, including taking kick-
backs and pay-offs in the tobacco cases. See Lightfoot v. Bowen, U.S. Supreme
Court, Case No. 08A524.
14. Thereafter, Taitz turned her attacks and false allegations on Lisa
Ostella, Mr. Berg and me. Orly Taitz attacks then began on Judge Clay D. Land in
Georgia; Judge David O. Carters Law Clerk in this Court, Siddharth Velamoor
Chief Judge Royce Lamberth and his staff in Washington, D.C.; the list goes on
As this Court can see, Taitz has a pattern of attacking those who disagree with her
or who will not do as she wants.
15. While Taitz was attacking me, falsely accusing me of committing
crimes and trying to have me falsely arrested, Orly Taitz filed two [2] forged
Kenyan Birth Certificates or Certifications of Live Birth in Judge David O
Carters Court. One of these was provided to Orly Taitz by Lucas Daniel Smith, a
convicted forger of identity documents. Taitz then began filing forged and altered
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 7 of 25 Page ID#:9049
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
8/108
Declaration of Lisa Liberi 8
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
documents in our case in Lisa Ostellas name and my name, as pointed out
numerous times on the docket.
16. Most recently, Orly Taitz filed documents in the case of Taitz v
Astrue, U.S.D.C., District of Columbia Case No. 1:11-cv-00402 RCL that had been
fraudulently obtained in the name of President Obama. See Judge Royce C
Lamberths Opinion of August 30, 2011, footnote at pages 7-8, this opinion is
attached hereto and incorporated in by reference as EXHIBIT 1. Judge
Lamberth in his Opinion stated:
The Court can only conclude that plaintiff has submitted a form that some individual
obtained through a false request and subsequently posted online. Plaintiff also submits
a verification results page from the Social Security Number Verification System
(SSNVS) indicating that social security number xxx-xx-4425 is not in file (never
issued). Pl.s Oppn to Mot. for Summ. J. Ex. 2 [31]. She argues that this page is
further evidence that the SSA is covering up the Presidents use of social security
number xxx-xx-4425. The SSA uses the SSNVS to provide employers with a means
ofverifying the names and social security numbers of employees. See SSNVS
Handbook, http://www.ssa.gov/employer/ssnvshandbk/ssnvsHandbook.pdf. Anyone
who knowingly and willfully uses SSNVS to request or obtain information from SSA
under false pretenses violates Federal law and may be punished by a fine,
imprisonment or both. Id. at 5. As with the registration acknowledgement form
discussed above, the Court can only conclude that plaintiffhas submitted a page that
some individual obtained under false pretensesthat is, by representing himself as the
Presidents employer. The Court notes that both documents submitted by plaintiff are
incomplete; the address on the registration acknowledgment form and the employer
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 8 of 25 Page ID#:9050
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
9/108
Declaration of Lisa Liberi 9
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
identification number on the SSNVS page have been blacked out, further confirming
the documents fraudulent origins.
17. If interested, the Court can easily find these documents referred to by
Judge Lamberth as Orly Taitz is the person who posted them all over the Internet
Taitz posted them all over her website at http://www.orlytaitzesq.com, on all her
Facebook pages, social network sites, tweeted them and sent them to private and
public blogs and websites demanding everyone to post the documents. Just as she
(Taitz) has done with her pleadings in this case.
18. As this Court can see, the only person committing any type of
fraudulent crimes is Orly Taitz herself and then accusing us, her victims, of what
she is doing.
19. On page six of Taitzs MTD and Amended MTD she accuses Lisa
Ostella of using the website to sell t-shirts and other financial endeavors and that
Ostella failed to provide Taitz with any type of accounting. Taitz is again lying
and making up false allegations. Evidence was filed with this Court proving Lisa
Ostella was not selling anything on the websites; instead it was Taitz and her
volunteers, followers and supporters. See Plaintiffs Objections filed May 31, 2011
Docket No. [DN] 212 at pages 4-5, i and p, pages 6-9 and the Declaration
of Lisa Ostella, DN 213 filed May 31, 2011. This was also addressed in the U.S
Court of Appeals for the Third Circuit in Case No. 10-3000 where Plaintiffs
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 9 of 25 Page ID#:9051
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
10/108
Declaration of Lisa Liberi 10
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
(Appellees) included in their supplemental Appendice filed November 7, 2010 at
pages J-260-J262 and J277, screen shots and web pages showing it was another
volunteer of Orly Taitzs, Lyn Shaw, who was selling T-shirts and collecting credit
cards for Orly Taitzs convention in Dallas, Texas, which never took place.
20. Taitz also states on page 6 of her MTD and Amended MTD that
Ostella was sending out emails collecting donations in Taitzs name. This is
another Taitz lie. I was present at the Court Hearings before Judge Robreno on
August 7, 2009 and December 20, 2009, and reviewed Lisa Ostellas bank
statements and PayPal records, all of which Mr. Berg provided Judge Robreno as
Exhibits. Lisa Ostella did not receive any donations, much less those intended for
Orly Taitz, which her banking and PayPal records proved. We subpoenaed Orly
Taitzs PayPal records. See Exhibits 22 and 23 filed May 20, 2011 as DN 190
All donations Taitz falsely accused Lisa Ostella and me of stealing were in fact
deposited into Taitzs PayPal accounts and transferred to Taitzs Bank of American
checking accounts.
21. On page 7, Taitz again lies to this Court and states she notified Berg
that I had 27 counts and 10 convictions of forging documents. I have never been
convicted of forging documents, much less 27 counts. Taitz also states I was
involved in Mr. Bergs fundraising, another lie. I have never had anything do with
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 10 of 25 Page ID#:9052
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
11/108
Declaration of Lisa Liberi 11
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Mr. Bergs financial accounts or fundraising. Taitz developed this false story
trying to substantiate her attacks on me.
22. Taitz on page 7 also attempts to mislead this Court and her audiences
falsely stating that suit was filed because she published a report from Defendant
Neil Sankey, showing my criminal record. Another lie which is contradicted by
Taitzs testimony to Judge Robreno on June 25, 2011. See the June 25, 2011
transcript at pages 41, lines 24, 25, page 42, lines 1-25 attached hereto as
EXHIBIT 2 and appearing on the Courts docket as Exhibit 15, DN 190-4,
pages 250-251, where Taitz testifies that she did not publish Sankeys report until
after suit had been filed and other false statements that she did not publish my
SSN, that it was another SSN she published, lie after lie after lie. It is true that
Taitz has published and republished and circulated all over the Internet different
versions of print-outs which she calls my criminal record. These papers of
Taitzs and Sankey are not my criminal record. I did not sue Taitz and Sankey
for the publication of these papers she calls a criminal record.
23. On April 17, 2009, Taitz published a document called Dossier #6
Dossier #6 was created by Orly Taitz and contained Orly Taitzs false statements
that I had a long criminal history going back to the 1990s; that I had been
convicted of forging police reports; manipulation of credit reports; that I had to pay
$21,000 per month in restitution and that I had viciously attacked her (Taitz)
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 11 of 25 Page ID#:9053
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
12/108
Declaration of Lisa Liberi 12
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
because I disagreed with her definition of the law pertaining to natural born
citizenship. In Taitz Dossier #6, Taitz included my name, my maiden name, my
full Social Security number [SSN], my date of birth, where I resided, my
husbands name, SSN and date of birth, a partial of my old SSN and other private
data. See Dossier #6 on file with this appearing as Exhibits 13, 14 and 54,
filed May 20, 2011 as DNs 190-3; 190-4 and 190-10. Taitzs Dossier #6 is also
on file as DNs 1; 3; 4; 63; 83; 102; and 190.
24. On page 9 of L.O.O.T.s MTD and Amended MTD, Taitz again
changes her story, and creates another lie. Taitz states, Plaintiffs' 1st, 2nd, 3rd,
4th, 5th, 6th, 7th, 8th, 9th causes of action arise out of Taitz alleged publication
and re-publication of a report prepared by licensed investigator Sankey for
internet magazine WorldNetdaily editor Bob Unruh and cc-ed to attorney Taitz.
See Defendant Neil Sankeys email addressed directly to Orly Taitz with a note to
Taitz: Defendant Neil Sankey states, Here is the Liberis stuff you requested. See
EXHIBIT 3. Taitzs statement in her MTD and Amended MTD are also
contradicted by her own previous statements; Taitz admits to having Neil Sankey
conduct a background check on both Lisa Ostella and me. See DNs 1; 3; 4; 63
83; 102; 190-3; 190-4 and 190-10.
25. Taitz on page 12 of L.O.O.T.s MTD and Amended MTD states, As
such attorneys on the case are well aware, that Liberi is a felon on probation.
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 12 of 25 Page ID#:9054
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
13/108
Declaration of Lisa Liberi 13
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Minimal investigation required under rule 11 would show that Liberi's criminal
case FWV 028000 contains a fact pattern of her engaging in the same activity:
cutting and pasting parts of documents and creating "documents" for which she
was convicted Another lie by Orly Taitz to this Court and her audiences. I
have never been convicted of any such thing; nor am I currently on probation.
26. Taitz on pages 12 and 13 of L.O.O.T.s MTD and Amended MTD
states in essence it does not matter that she published my private data, my Social
Security number, date of birth and other personal identifying information. Taitz
states no sane person would want to assume my identity and risk going to jail for
eight [8] years, and that I was bankrupt. This again is yet more lies to justify her
wrong doings. Taitz and her own investigator, Defendant Neil Sankey, illegally
pulled my credit in or about May 2009. Defendant Neil Sankey went on Edgar
Hales radio show and discussed a loan I had just taken out. I had taken a
signature loan (a loan based just on my signature without any type of collateral)
out for over Seven Thousand [$7,000.00] Dollars for my sons college. In order to
qualify for a personal loan in that amount, you must have A rated credit, as I did
My FICO score at that time was over 750.
27. After the publication of all my private identifying information, loans
car loans, credit cards, and numerous other financial accounts were fraudulently
opened in my name, without my knowledge and/or authorization. My credit shows
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 13 of 25 Page ID#:9055
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
14/108
Declaration of Lisa Liberi 14
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
me currently residing in Texas, Massachusetts, California, New Mexico, Virginia
and other states that I have never resided in. Defendant Orly Taitz as an Attorney
Doctor and Dentist by and through L.O.O.T. single handedly destroyed my credit
and that of my husband by publishing our private identifying information.
Moreover, she sent all our private identifying information internationally. How
many Lisa Liberis are entering our Country illegally? Using my Identity?
28. Further, anyone using my identity to commit crimes would not land
them in jail, since it is under my name, my identity; police would arrest me until
they found that my identity had been stolen numerous times.
29. Taitz claims that we did not plead any facts pertaining to her
disclosure and publication of our Social Security numbers, and other primary
identifying information. Not true, all through our Amended Complaint it is pled
that I have suffered full identity theft over and over again. See our First Amended
Complaint [FAC] at pgs. 41-43 106-108, 110, pg. 50 121, pg. 56 133, pgs.
59-60, 140-141, pg. 79 190 and many other places in our FAC.
30. Taitz continues on page 13 of L.O.O.T.s MTD and Amended MTD
How within 2 weeks from the time the report was posted and the complaint was
filed, this imaginary individual managed to damage Liberi? Taitz is trying to
mislead this Court into believing she only had my full Social Security number and
other private identifying information posted for two [2] weeks on her site. Another
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 14 of 25 Page ID#:9056
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
15/108
Declaration of Lisa Liberi 15
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
lie by Orly Taitz. Taitz had all my primary identifying information, including my
full Social Security number, date of birth, place of birth, maiden name, mothers
maiden name, fathers name, address, phone number, financial information, and
other private information posted since April 2009 to current. Taitzs Dossier #6
with my full Social Security number and private data is still available online at
http://www.oilforimmigration.org/facts/?p=1478. See EXHIBIT 4 note, I have
redacted my Social Security Number from the two [2] pages of screen shots.
31. Taitzs continues on page 13 that I entered my unredacted Socia
Security numbers on documents filed with Courts. Even if true, Taitz as an
Attorney would have access to unredacted court documents, depending on how she
identified herself. Regardless, if true, Taitz had no right to publish the documents
all over the internet and my information was not online until Taitz put it there. My
name was unknown on the Internet prior to all of Taitzs publications. Now, you
get pages after pages in Google when you input my name; it is truly disgusting the
damages Orly Taitz has caused me and my family.
32. California Courts, as this Court is aware, are required to redact any
and all private confidential information from documents provided to the public.
However, as stated, Attorneys have access to documents the general public does
not, especially if they misrepresent themselves as being counsel for the person
whom the documents relate.
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 15 of 25 Page ID#:9057
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
16/108
Declaration of Lisa Liberi 16
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
33. Taitzs ignorant argument is no different than me trying to convince
this Court that Taitzs PayPal records have her full Social Security number and it is
okay for Lisa Ostella, Philip J. Berg, Esquire or me to publish it all over the
Internet. This simply is not the case.
34. On page 19, Taitz states in L.O.O.T.s MTD and Amended MTD
Liberi used likeness and trade mark of Taitz's not for profit foundation and
solicited donations, while Liberi and Berg benefitted from those actions of Ostella,
as she locked Taitz out of her old web site and used that web site to promote law
office of Berg. This is another lie of Orly Taitz. I have never used Taitzs name
or anything pertaining to Taitzs name or any of her affiliates. I have never
solicited donations from anyone, much less Orly Taitz. In fact, I had never been to
any of Orly Taitzs websites until after she published my Social Security number
and other private data which was mid April 2009. I have not and did not benefit
from anything pertaining to Orly Taitz; I have only suffered severe damages and
extreme emotion distress as a result of Orly Taitzs actions. Not to mention the
fact, Orly Taitzs contradicts her own statements in her MTD and Amended MTD.
35. Ms. Taitz continues stating I am a career document forger and that I
have a criminal record going back to the 1990s. This is not true, I do not have a
criminal record going back to the 1990s and I have not been convicted of forgery
of documents or document forgery.
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 16 of 25 Page ID#:9058
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
17/108
Declaration of Lisa Liberi 17
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
36. Further, Ms. Taitz has harassed every governmental agency in New
Mexico to the point they called in the NM Attorney General to put a stop to Ms.
Taitzs harassing and illegal behaviors.
37. Moreover, Ms. Taitz called on her readers, followers and supporters to
contact the law enforcement agency where I reside; she continued calling on them
to further cyber-stalk; cyber-harass; and cyber-bully me; which they did.
38. I have received nonstop phone calls stating I am going to meet my
maker real soon if I dont drop this lawsuit against Ms. Taitz. I have had strange
individuals show up at my home, peeking in my windows, scrambling my phones,
all after Ms. Taitz publication of my home address and telephone number.
39. My local law enforcement has been forced to take reports for Stalking
Cyber-stalking, Cyber-harassment, Cyber-bullying; fraud; forgery; identity theft
threats, where they have listed the prime suspect as Orly Taitz. This is a result of
all of Orly Taitz publishing and continued republishing of her threats against me
her calling for her supporters for help regarding me; and her continued publishing
of my full Social Security number, my maiden name, my mothers maiden name,
my fathers name, my home address, my place of birth, my date of birth and my
husbands primary identification information. As a result, my husband and my
identities have been stolen, our credit has been used repeatedly, accounts have
been set-up fraudulently in our names using our identifying information, my credit
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 17 of 25 Page ID#:9059
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
18/108
Declaration of Lisa Liberi 18
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
report shows me residing in States I have never resided including but not limited to
Massachusetts and Iowa. All the law enforcement reports were forwarded to the
Federal Bureau of Investigations as the crimes crossed several state lines.
40. As a result of Ms. Taitzs continued harassment, cyber-stalking
cyber-bullying, cyber-harassment, and other illegal acts, I have had to have
emergency service from the paramedics numerous times, emergency room visits,
cardiac treatments, and hospitalizations due to the complications I suffered with
my heart and other medical conditions, resulting from stress induced by Orly Taitz
and the other Defendants. This has cost my family in excess of Two Hundred Fifty
Thousand [$250,000.00] Dollars. My medical bills to date were provided to Judge
Robreno on December 20, 2010.
41. Ms. Taitz is well aware of what she is doing; she has talked about my
medical complications on her radio shows, TV appearances and in her pleadings
filed with this Court and in the same breath claims she is a doctor.
42. As I have testified several times, I do believe Ms. Taitz attempted to
hire a dangerous man in Albuquerque to carry out her threats towards me and Mrs
Ostella, to harm me and my family and harm Mrs. Ostella and her family. Ms
Taitz never disputed that Mr. Nietos PayPal money requests were not from her
PayPal account. I asked Ms. Taitz on December 20, 2010 in Judge Robrenos
Courtroom if she was saying the PayPal account the money requests from Mr
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 18 of 25 Page ID#:9060
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
19/108
Declaration of Lisa Liberi 19
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
Nieto was not her PayPal account, and Ms. Taitz answered NO, because they
were. See the December 20, 2010 Transcript, page 94, lines 7-11, filed on the
docket January 14, 2011, appearing as Docket Entry 162.
43. Orly Taitz filed numerous false reports with the Santa Fe Probation
Department, all of which were investigated and found to be without merit. When
this failed and law enforcement refused to falsely arrest me, Orly Taitz filed an
Emergency Petition in the San Bernardino County Superior Court to have my
probation revoked. Orly Taitz filed these same false accusations that were filed
with the Orange County Sheriffs Department; Santa Fe Police Department; the
Santa Fe Probation Department; the San Bernardino County District Attorneys
Office and the San Bernardino County Probation Office. Additionally, Orly Taitz
included that I tampered with her car, jeopardizing her and her families lives and
that I killed my sister.
44. This Case had been closed for three [3] years and was reopened due to
Orly Taitzs petition. Three [3] court hearings took place, and on each hearing
Orly Taitz was publishing it on her website, as filed on May 20, 2011 with this
Court. See Docket No. 190 through 190-27, and summonsing people to attend the
hearings and be victims of Liberis. I had to have counsel attend the hearings
The Court found absolutely no merit to Orly Taitz, Neil Sankey and Orly Taitzs
supporters false reports; I was found not guilty of any violations and the case
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 19 of 25 Page ID#:9061
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
20/108
Declaration of Lisa Liberi 20
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
closed again. All of this was done with malicious intent. Orly Taitz was
attempting every way possible to have me falsely accused and jailed because I was
and am suing her, which was her ulterior motive.
45. Orly Taitz was very unhappy so she began seeking her supporters to
file formal complaints against the supervising Probation Officers in San
Bernardino County. Orly Taitz at this same time also put out all over the Internet
that I had four [4] active felony charges, knowing this information was false. See
Exhibits 125 through 128 filed May 20, 2011, which I located on Orly Taitz
website by going to http://www.orlytaitzesq.com. Again, all of which shows Orly
Taitzs malicious intent.
46. I have never worked for or had anything to do with Orly Taitz. I am
not a blogger; I do not and have not posted anything on the Internet, on web
forums, on bulletin boards, nowhere on the World Wide Web about Orly Taitz, her
company, her family, or anyone she knows. I have never authorized Orly Taitz or
any of the other Defendants to publish my private data, obtain and publish my
family pictures or single photos, none of which are public, publish my home
address or any other information about me. I am not a public person.
47. Since the filing of my Declaration with this Court on July 25, 2011
Docket No. 314, where I put all of Defendant Taitzs continued postings and
publications with false statements, false allegations, false recitations of this case
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 20 of 25 Page ID#:9062
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
21/108
Declaration of Lisa Liberi 21
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
pleadings on file with this case, and incitement against Lisa Ostella and me, Taitz
has continued these actions. Taitz posted the following:
EXHIBIT 5
World Net Daily is sending flyers and asking for money for Gary ...www.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=25677
6 hours ago by [email protected] is despicable, that attorneys claiming to be on the same side wouldcollude with a known convicted felon, forger and thief LisaLiberi, put theirname and license under garbage drafted by her and World Net Daily wouldpromote such attorney ...
EXHIBIT 6Help me find this person, whose IP is now connected to all the ...www.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=255923 days ago by [email protected] refused to file her drivers license or any other identification paper, asshe said that she is afraid of me because she believes that attorney OrlyTaitz tried to hire a hit-man to kill LisaLiberi, assistant of Philip Berg andshe also tried to hire a ...
EXHIBIT 7
submitted to Judge Andrew Guilford in Central District of CA today ...www.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=25553
http://www.orlytaitzesq.com/?attachment_id=25549
http://www.orlytaitzesq.com/?attachment_id=25550
http://www.orlytaitzesq.com/?attachment_id=25551
http://www.orlytaitzesq.com/?attachment_id=25552
http://www.orlytaitzesq.com/wp-content/uploads/2011/09/Liberi-v-TAaitz-
10.10.2011-hearing-motion-to-dismiss-Law-offices.pdfhttp://www.orlytaitzesq.com/wp-content/uploads/2011/09/Liberi-v-Taitz-
12.23.2010-pdf-memorandum-by-Judge-Robreno.pdf
http://www.orlytaitzesq.com/wp-content/uploads/2011/09/Lisa-Liberi-
criminal-record-bankruptcy-record.pdf
http://www.orlytaitzesq.com/wp-content/uploads/2011/09/declaration-of-
Lisa-Liberi-first-5-digits-of-SSN-redacted-.pdf
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 21 of 25 Page ID#:9063
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
22/108
Declaration of Lisa Liberi 22
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
4 days ago by [email protected] at hand was filed by plaintiff Pennsylvania attorney Philip Berg,his assistant LisaLiberi and web master Lisa Ostella, who for a short timewas a volunteer web master for defendant Orly Taitz, but who is currentlyassisting Berg, ...
EXHIBIT 8
submitted today | Dr. Orly Taitz Esquirewww.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=24922
Aug 24, 2011 by [email protected] v Taitz 11-cv-485. Request for leave of court to file a request tocorrect a serious error made by a docketing clerk in entries #289, #300 andcorrect a relating error in order by the court from August, 19, 2011 and for
leave of court to file ...
EXHIBIT 9
submitted today to judge Guilford. Does anyone know, if any of his ...www.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=24901
http://www.orlytaitzesq.com/?attachment_id=24902
http://www.orlytaitzesq.com/?attachment_id=24903
http://www.orlytaitzesq.com/wp-content/uploads/2011/08/Liberi-v-Taitz-
final-request-to-modify-the-order-of-litigation-history.docx
http://www.orlytaitzesq.com/wp-content/uploads/2011/08/Liberi-v-Taitz-
request-to-correct-an-error-in-order-and-leave-of-court-to-file-12b6.pdf
Aug 23, 2011 by [email protected] v Taitz final request to modify the order of litigation historyLiberi vTaitz request to correct an error in order and leave of court to file. [email protected]. Attorney for Orly Taitz, inc inLiberi v Taitz11-cv-485. 08.23.2011. Request for ...
EXHIBIT 10
More on connection between WND and Kreep | Dr. Orly Taitz Esquirewww.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=24891
Aug 23, 2011 by [email protected] Editor of Post and E-mail Sharon Rondeau published a criminalrecord of LisaLiberi, assistant to Berg, she explained that the law suit was
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 22 of 25 Page ID#:9064
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
23/108
Declaration of Lisa Liberi 23
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
bogus, there was no defamation, no invasion of privacy, that all publicationabout Berg's ...
EXHIBIT 11
Update on HI and the Boehner plan vote | Dr. Orly Taitz Esquirewww.orlytaitzesq.com/
http://www.orlytaitzesq.com/?p=24293
Jul 29, 2011 by [email protected] am still having to spend enormous amount of time on this bogus law suitfiled by Philip Berg, his local counsel Gary Kreep and his sidekicks Lisa
Liberi and Lisa Ostella. This is an enourmous waste of my time, moneyand energy, which could ...
48. Orly Taitz also published all the above posts, attached as Exhibits, on
her accounts with Facebook (in approximately eight [8] places on Facebook)
beforeitsnews.com; friends feed; twitter; freedables.com; and other social network
sites and search engines including internationally and in foreign languages. We
have copies and all the links should the Court wish them to be filed. Orly Taitz
also sent these posts through hundreds of RSS feeds to thousands of private and
public blogs and websites for posting.
49. There is absolutely no permissible purpose, no tangible reason for all
these postings regarding Lisa Ostella our attorney or me and it does not serve any
legitimate purpose. All these postings since 2009 have kept me living in daily fear
for son, husband or me. Further, it has caused my family and me severe
(substantial) emotional and mental distress to the point I ended up hospitalized for
heart complications due to the stress and repeated emergency personnel at my
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 23 of 25 Page ID#:9065
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
24/108
Declaration of Lisa Liberi 24
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
home due to heart complications and other medical complications caused by the
harassment and stress.
50. Your Honor has made comment regarding the docket and all the
filings several times. The reason Plaintiffs are forced to file so much paper is
because Orly Taitz will take one document and publish it in hundreds of places on
the Internet. We then feel it necessary to file them to substantiate our statements as
Taitz continues lying to the Court and accusing of crimes we have never
committed.
51. Orly Taitz has proven to be completely fixated on Lisa Ostella and me
to an extreme that I feel warrants psychiatric intervention. Otherwise, Orly Taitz
with all her rage, is going to end up physically harming our children, family
members or us.
52. In fact, in Orly Taitzs post of September 15, 2011, attached hereto as
EXHIBIT 6 Orly Taitz goes after my mother, Shirley Waddell with false tales
and gives the names of relatives of my husband, who Taitz could have only
obtained by conducting further illegal background checks. Orly Taitz has also
stalked my son. Your Honor, this must stop, I am asking this Court to please stop
this woman.
53. All of the above posts I obtained by going directly to Orly Taitz
website at www.orlytaitzesq.com and in the search box typing Liberi each and
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 24 of 25 Page ID#:9066
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
25/108
Declaration of Lisa Liberi 25
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
every post with my name came up, at which time I took a screen shot and printed
the page to PDF. The above postings by Taitz are only over the past month and are
the same type of postings Orly Taitz has done regarding me since April 2009, al
with false tales, false allegations, where I am being blamed for what Orly Taitz is
actually doing to us.
54. Orly Taitz incites people against us, as proven by the postings by her
own web person, Bob Stevens on www.skypeassholes.com and
http://domesticenemies.net, as well as Taitzs own statements. I certainly believe
this justifies and substantiates her cyber-stalking of Lisa Ostella and me.
55. Your Honor, Orly Taitz will not stop until the Courts force her to
stop her dangerous, illegal and damaging conduct.
I declare under the penalty of perjury of the Laws of the United States and
the State of California that the foregoing is true and correct.
Executed this 20th day of September, 2011 in the State of New Mexico.
Lisa Liberi, Declarant
Case 8:11-cv-00485-AG -AJW Document 387 Filed 09/22/11 Page 25 of 25 Page ID#:9067
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
26/108
Declaration of Lisa Liberi 26
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28EXHIBIT 1
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 1 of 15 Page ID#:9068
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
27/108
1
UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLUMBIA
____________________________________
)
ORLY TAITZ, )
)Plaintiff, )
)
v. )
) Civil Action No. 11-402 (RCL)
MICHAEL ASTRUE, )
COMMISSIONER OF THE SOCIAL )
SECURITY ADMINISTRATION, )
)
Defendant. )
____________________________________)
MEMORANDUM OPINION
Before the Court is defendants Motion for Summary Judgment [21]. Upon consideration
of defendants motion, plaintiffs opposition [31], the reply thereto [32], the entire record herein,
and the applicable law, the Court will grant summary judgment in defendants favor for the
reasons set forth below.
I. BACKGROUNDEver persistent, plaintiff has once again come before this Court in an effort to uncover
the biggest cover up in the history of this nation. Pl.s Oppn to Mot. for Summ. J. 20 [31]. She
believes that the President is using a fraudulently obtained social security number and that the
Social Security Administrationamong other agenciesis involved in a scheme to cover[] up
social security fraud, IRS fraud, elections fraud and possibly treason committed by the
President. Id. at 56, 13. As her numerous filings with the Court demonstrate, plaintiff will stop
at nothing to get to the bottom of this alleged conspiracy. Unfortunately for plaintiff, today is not
her lucky day.
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 1 of 8
Exb. "1", pg. 27
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 2 of 15 Page ID#:9069
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
28/108
2
In her latest litigation before this Court, plaintiff has sued Michael Astrue, Commissioner
of the Social Security Administration (SSA), under the Freedom of Information Act, 5 U.S.C.
552 (FOIA), for information relating to individuals social security numbers. On October 4,
2010, plaintiff submitted a FOIA request to the SSA seeking various records and posing
questions relating to the social security numbers of several individuals. Def.s Mem. in Supp. of
Mot. for Summ. J. 2 [21-2] (Def.s Mem. in Supp.). The SSA responded to her request on
March 2, 2011. See Mot. for Summ. J. Ex. C [21-6] (March Response). The record
demonstrates that the SSA conducted a thorough search in response to plaintiffs request,
disclosing all responsive documents except for the redacted Form SS-5 for the living individual
who holds the social-security number xxx-xx-4425. Def.s Mem. in Supp. 2 [21-2].
The SSA withheld the requested Form SS-5 1 under FOIA Exemption 6, which protects
records from release where disclosure would constitute a clearly unwarranted invasion of
privacy. 5 U.S.C. 552(b)(6). In its response to plaintiffs request, the SSA explained that the
Privacy Act of 1974, 5 U.S.C. 552a, protects the personal information of social security
number holders. See March Response 2 [21-6]. The SSA releases such information to the public
only with the holders consentwhich the SSA did not have hereor if FOIA requires
disclosure. The SSA determined that Exemption 6 applied to the Form SS-5 because the
information therein could be used to identify the social security number holder and because
plaintiff had identified no public interest that would be served by disclosure. See id.
Having filed an administrative appeal, plaintiff filed a complaint and an amended
complaint asking this Court to order defendant to release various documents. Defendant
1 Form SS-5 is the form through which an individual applies for a social security card.
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 2 of 8
Exb. "1", pg. 2
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 3 of 15 Page ID#:9070
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
29/108
3
answered the amended complaint and subsequently moved for summary judgment. Defendant
argues that the SSA conducted an adequate search for responsive documents and produced all
such documents that are not exempt from release under FOIA. In her opposition to defendants
summary judgment motion, plaintiff does not dispute that the SSA conducted an adequate search
for responsive documents and disclosed all such documents except for onethe requested Form
SS-5. She challenges only the SSAs withholding of that form. See Pl.s Oppn to Mot. for
Summ. J. 5 [31]. Thus, the only question before this Court in determining whether defendant is
entitled to summary judgment is whether the SSA properly withheld the Form SS-5 under FOIA
Exemption 6.
II. STANDARD OF REVIEWSummary judgment is appropriate if the movant shows that there is no genuine dispute
as to any material fact and the movant is entitled to judgment as a matter of law. Fed. R. Civ. P.
56(a); Anderson v. Liberty Lobby, Inc., 477 U.S. 242, 247 (1986). FOIA actions are typically
resolved on summary judgment. See Reliant Energy Power Generation, Inc. v. FERC., 520 F.
Supp. 2d 194, 200 (D.D.C. 2007). To establish that it is entitled to summary judgment in a FOIA
case, an agency must demonstrate that it has conducted an adequate search for the requested
documents and that any withheld documents fall into one of FOIAs statutory exemptions.Id. In
determining whether the defendant agency has met its burden, the underlying facts are viewed
in the light most favorable to the [FOIA] requester. Weisberg v. U.S. Dept. of Justice, 705 F.2d
1344, 1350 (D.C. Cir. 1983).
A court reviews an agencys response to a FOIA request de novo. See 5 U.S.C.
552(a)(4)(B). Affidavits that the agency submits to demonstrate the adequacy of its response are
entitled to a presumption of good faith. Ground Saucer Watch, Inc. v. CIA, 692 F.2d 770, 771
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 3 of 8
Exb. "1", pg. 2
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 4 of 15 Page ID#:9071
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
30/108
4
(D.C. Cir. 1981). The reviewing court is not obligated to conduct an in camera review of the
documents withheld [under a FOIA exemption]; the decision to do so is discretionary.Meeropol
v. Meese, 790 F.2d 942, 958 (D.C. Cir. 1985). The court may grant summary judgment in favor
of the agency simply on the basis of [its] affidavits, if they contain information of reasonable
detail, sufficient to place the documents within the exemption category, and if the information is
not challenged by contrary evidence in the record or evidence of agency bad faith.Id. (quoting
Lesar v. U.S. Dept. of Justice, 636 F.2d 472, 481 (D.C. Cir. 1980)).
III. DISCUSSIONFOIA Exemption 6 exempts from disclosure personnel and medical files and similar
files the disclosure of which would constitute a clearly unwarranted invasion of personal
privacy. 5 U.S.C. 552(b)(6). In determining whether an agency has properly withheld a record
under Exemption 6, a court must first determine whether disclosure would compromise a
substantial privacy interest.Natl Assn of Retired Fed. Emps. v. Homer, 879 F.2d 873, 874 (D.C.
Cir. 1989). The court must then balance any such privacy interest in nondisclosure against the
public interest in the release of the records to determine whether disclosure would constitute a
clearly unwarranted invasion of personal privacy.Id.
In a previous case in which plaintiff requested the same Form SS-5 that she has requested
here, this Court held that social security numbers are exempt from disclosure under FOIA
Exemption 6. See Taitz v. Obama, 754 F. Supp. 2d 57, 60 (D.D.C. 2010). That holding was not
surprising, as it is consistent with other courts recognition that Exemption 6 protects social
security numbers. See, e.g., Smith v. Dept. of Labor, No. 10-1253, 2011 WL 3099703, at *6
(D.D.C. July 26, 2011); Prison Legal News v. Lappin, No. 05-1812, 2011 WL 766559, at *6
(D.D.C. Feb. 25, 2011); Coleman v. Lappin, 680 F. Supp. 2d 192, 197 (D.D.C. 2010). It is also
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 4 of 8
Exb. "1", pg.
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 5 of 15 Page ID#:9072
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
31/108
5
consistent with the SSAs regulations, which list social security numbers as information that
[the SSA] frequently withhold[s] under Exemption 6. 20 C.F.R. 420.100(c).
Here, the SSA withheld from disclosure only one document requested by plaintiffthe
redacted Form SS-5 of the living individual who holds social security number xxx-xx-4425.2
In
requesting that form, plaintiff asked for the date of the application as well as the zip code and
gender of the applicant. See Mot. for Summ. J. Ex. A [21-4]. She did not seek the name of the
applicant. See id. Because the redacted Form SS-5 contains identifying information associated
with a living individuals social security number, its disclosure would compromise a substantial
privacy interest. See Sherman v. U.S. Dept. of Army, 244 F.3d 357, 365 (5th Cir. 2001) ([A]n
individuals informational privacy interest in his or her [social security number] is substantial.).
Redacting the individuals name from the Form SS-5while still retaining the social security
number, the date of the application, and the applicants zip code and genderdoes not diminish
the privacy interest. Dawn Wiggins, Deputy Executive Director for the Office of Privacy and
Disclosure in the SSAs Office of General Counsel, states in her affidavit on behalf of the SSA:
The agency also considered whether we could release information
associated with a [social security number] without releasing the number
holders name. However, release of information based on a specific
number holders identified [social security number] could confirm the
identity of the number holder and/or give the requestor information that
could lead to the possible identification or confirmation of the true
number holder. Again, the agency concluded that this would constitute anunwarranted invasion of personal privacy.
Mot. for Summ. J. Ex. E [21-8] (emphasis added). Indeed, plaintiff makes no secret of her
intention to use the redacted Form SS-5 to identify the holder of social security number xxx-xx-
4425or, as plaintiff puts it, to confirm her suspicion that the President is fraudulently using
2The SSA disclosed to plaintiff three Form SS-5s belonging to deceased individuals because it
generally does not consider the disclosure of information about a deceased person to be aclearly unwarranted invasion of that persons privacy. 20 C.F.R. 401.190.
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 5 of 8
Exb. "1", pg.
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 6 of 15 Page ID#:9073
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
32/108
6
that number.3
Plaintiffs allegation that the requested Form SS-5 is associated with a public official
does not diminish the privacy interest at stake here. Even if plaintiffs allegation were true, an
individuals status as a public official does not, as plaintiff contends, make exemption 6
irrelevant to him and his vital records. Pl.s Oppn to Mot. for Summ. J. 18 [31]. Individuals
do not waive all privacy interests . . . simply by taking an oath of public office. Lissner v. U.S.
Customs Serv., 241 F.3d 1220, 1223 (9th Cir. 2001); see also Nix v. United States, 572 F.2d 998,
1006 (4th Cir. 1978) (explaining that public servants are not stripped of every vestige of
personal privacy, particularly where the release of identifying information could subject them
to harassment and annoyance in the conduct of their official duties); Kidd v. Dept. of Justice,
362 F. Supp. 2d 291, 297 (D.D.C. 2005) (upholding the redaction of a public officials personal
information under FOIA Exemption 6 where such information had little bearing on the publics
understanding of the way in which the Department of Justice . . . conducts its affairs). To be
sure, a public officials privacy interests may be diminished in cases where information sought
under FOIA would likely disclose official misconduct. Forest Serv. Emps. for Envtl. Ethics v.
U.S. Forest Serv., 524 F.3d 1021, 1025 (9th Cir. 2008) (quoting Lissner, 241 F.3d at 122324).
But plaintiffs unsubstantiated allegations, without more, do not persuade the Court that the
requested information would likely disclose official misconduct, id., and thus do not affect the
calculus here.
On the other side of the ledger, plaintiff has identified no legitimate public interest that
would be served by disclosure of the requested Form SS-5. In determining whether the
3 Plaintiffs argument that redacted Form SS-5s are routinely provided to law enforcement,
Pl.s Oppn to Mot. for Summ. J. 15 [31], is irrelevant. Both the Privacy Act and SSA
regulations permit the SSA to disclose records to law enforcement in specific circumstances. See5 U.S.C. 552a(b)(7); 20 C.F.R. 401.155. Clearly, those provisions are inapplicable here.
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 6 of 8
Exb. "1", pg. 3
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 7 of 15 Page ID#:9074
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
33/108
7
disclosure of government records would result in a clearly unwarranted invasion of privacy, the
relevant public interest to be weighed against the privacy interest is the extent to which
disclosure would contribute to public understanding of the operations or activities of the
government.Natl Assn of Home Builders v. Norton, 309 F.3d 26, 33 (D.C. Cir. 2002) (quoting
U.S. Dept of Def. v. FLRA, 510 U.S. 487, 495 (1994)) (internal quotation marks omitted).
Thus, unless a FOIA request advances the citizens right to be informed about what the
government is up to, no relevant public interest is at issue. Id. at 34 (quoting U.S. Dept. of
Justice v. Reporters Comm. for Freedom of Press, 489 U.S. 749, 773 (1989)) (internal quotation
marks omitted). The disclosure of an individuals Form SS-5 would provide absolutely no insight
into the SSAs operations or activities. And plaintifffor all her allegationshas produced no
evidence that would warrant a belief by a reasonable person that the alleged government
impropriety might have occurred.Natl Archives and Records Admin. v. Favish, 541 U.S. 157,
174 (2004). Her vehement allegations of fraud consist of mere bare suspicion[s] and thus fail
to satisfy the public interest standard required under FOIA.Id.4
4 Plaintiff submits the Selective Service registration acknowledgment form associated with
security number xxx-xx-4425, Pl.s Oppn to Mot. for Summ. J. Ex. 1 [31], which apparently is
readily available on the world wide web. Pl.s Am. Compl. 3 [3]. She argues that this formestablishes that the President is fraudulently using social security number xxx-xx-4425, Pl.s
Oppn to Mot. for Summ. J. 13 [31], and that the Selective Service and the SSA are engaged in
a cover up of his fraud. Pl.s Am. Compl. 3 [3]. The Selective Service does not releaseregistration acknowledgment forms to the public; only a registrant himself can request proof of
his registration. See Registration Information, http://www.sss.gov/ack.htm. The Court can only
conclude that plaintiff has submitted a form that some individual obtained through a false request
and subsequently posted online. Plaintiff also submits a verification results page from theSocial Security Number Verification System (SSNVS) indicating that social security number
xxx-xx-4425 is not in file (never issued). Pl.s Oppn to Mot. for Summ. J. Ex. 2 [31]. She
argues that this page is further evidence that the SSA is covering up the Presidents use of socialsecurity number xxx-xx-4425. The SSA uses the SSNVS to provide employers with a means of
verifying the names and social security numbers of employees. See SSNVS Handbook,
http://www.ssa.gov/employer/ssnvshandbk/ssnvsHandbook.pdf. Anyone who knowingly andwillfully uses SSNVS to request or obtain information from SSA under false pretenses violates
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 7 of 8
Exb. "1", pg. 3
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 8 of 15 Page ID#:9075
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
34/108
8
Disclosure of the requested Form SS-5 would implicate a substantial privacy interest
while serving no public interest cognizable under FOIA. Because disclosure would constitute a
clearly unwarranted invasion of personal privacy, 5 U.S.C. 552(b)(6), the SSA properly
withheld the Form SS-5 under Exemption 6. Plaintiff challenges no other aspect of the SSAs
response to her FOIA request. Accordingly, the Court finds that defendant is entitled to summary
judgment in this case.
IV. CONCLUSIONFor the reasons discussed above, defendants Motion for Summary Judgment [21] will be
granted. A separate Order consistent with this Memorandum Opinion shall issue this date.
Signed by Royce C. Lamberth, Chief Judge, on August 30, 2011.
Federal law and may be punished by a fine, imprisonment or both. Id. at 5. As with the
registration acknowledgement form discussed above, the Court can only conclude that plaintiffhas submitted a page that some individual obtained under false pretensesthat is, by
representing himself as the Presidents employer. The Court notes that both documents submitted
by plaintiff are incomplete; the address on the registration acknowledgment form and theemployer identification number on the SSNVS page have been blacked out, further confirming
the documents fraudulent origins. For all of these reasons, the Court will disregard both
documents as well as any arguments made in reliance on them.
Case 1:11-cv-00402-RCL Document 33 Filed 08/30/11 Page 8 of 8
Exb. "1", pg. 3
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 9 of 15 Page ID#:9076
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
35/108
Declaration of Lisa Liberi
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
EXHIBIT 2
35
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 10 of 15 Page ID#:9077
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
36/108
Case 2:09-cv-01898-ER Document 140 Filed 08/31/10 Page 1 of 77Case 8:11-cv-00485-AG -AJW Document 190-4 Filed 05/20/11 Page 16 of 44 Page ID#:4674
Exb. "2", pg. 36
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 11 of 15 Page ID#:9078
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
37/108
Case 2:09-cv-01898-ER Document 140 Filed 08/31/10 Page 2 of 77Case 8:11-cv-00485-AG -AJW Document 190-4 Filed 05/20/11 Page 17 of 44 Page ID#:4675
Exb. "2", pg. 3
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 12 of 15 Page ID#:9079
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
38/108
Case 2:09-cv-01898-ER Document 140 Filed 08/31/10 Page 41 of 77Case 8:11-cv-00485-AG -AJW Document 190-4 Filed 05/20/11 Page 20 of 44 Page ID#:4678
Exb. "2", pg.
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 13 of 15 Page ID#:9080
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
39/108
Case 2:09-cv-01898-ER Document 140 Filed 08/31/10 Page 42 of 77Case 8:11-cv-00485-AG -AJW Document 190-4 Filed 05/20/11 Page 21 of 44 Page ID#:4679
Exb. "2", pg. 3
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 14 of 15 Page ID#:9081
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
40/108
Case 2:09-cv-01898-ER Document 140 Filed 08/31/10 Page 77 of 77Case 8:11-cv-00485-AG -AJW Document 190-4 Filed 05/20/11 Page 28 of 44 Page ID#:4686
Exb. "2", pg
Case 8:11-cv-00485-AG -AJW Document 387-1 Filed 09/22/11 Page 15 of 15 Page ID#:9082
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
41/108
Declaration of Lisa Liberi
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
EXHIBIT 3
41
Case 8:11-cv-00485-AG -AJW Document 387-2 Filed 09/22/11 Page 1 of 5 Page ID#:9083
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
42/108
From: Neil SANKEY
Subject: FW: LISA LIBERI etc
Date: Monday, April 13, 2009, 7:04 PM
Here is the Liberi stuff you requested. This is also what I sent to Bob Unruh
From: Neil SANKEY [mailto:[email protected]]
Sent: Friday, April 10, 2009 10:01 AM
To: Bob Unruh
Subject: LISA LIBERI etc
Bob here are some bare facts about Bergs assistant. See below and attachmentsI dont know how much of the story you have already, but is essentially about WHO shereally is and the questions that unfortunately brings up about Berg.Call, if you need to, at your convenience.
Neil SankeyInvestigator & Consultant.
THE SANKEY FIRM
Simi Valley, California 93063
805 520 3151818 212 7615 cell
(Addendum)
LISA RENEE LIBERI. Bn 5/28/1965. 462-45-xxxx, 622-19-4312 (& others)
According to the Police she was born COURVILLE and married a Richardson (PossibleAlan Douglas Richardson, currently residing in Las Vegas .) IF it was the other wayaround, then the Courville is Bill Marshall Courville 11/10/61 of Houston , Tx. 457-71-x Ihave several SS#'s for her and a LOT of AKA's. Her real SS# is probably 462-45-xxxx.
Most prominent otherwise are 563-60-xxxx, 572-17-x, 622-19-x She went BK in 2002Her brother is probably Lawrence E Morris of Fontana and Rancho Cuc , CA . He wasborn 1/16/64 Her Husband, Brent J, a Parolee, I have not researched that. Is probablyBrent J McCormack 563-77, also uses 331-02-x
There is also a Jerry HELLER and Douglas Cramer look interesting, but where do youstop?.
Exb. "3", pg.
Case 8:11-cv-00485-AG -AJW Document 387-2 Filed 09/22/11 Page 2 of 5 Page ID#:9084
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
43/108
Declaration of Lisa Liberi
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
EXHIBIT 4
43
Case 8:11-cv-00485-AG -AJW Document 387-2 Filed 09/22/11 Page 3 of 5 Page ID#:9085
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
44/108
http://www.oilforimmigration.org/facts/?p=1478
Exb. "4", pg. 44
Case 8:11-cv-00485-AG -AJW Document 387-2 Filed 09/22/11 Page 4 of 5 Page ID#:9086
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
45/108
http://www.oilforimmigration.org/facts/?p=1478
Exb. "4", pg. 45
Case 8:11-cv-00485-AG -AJW Document 387-2 Filed 09/22/11 Page 5 of 5 Page ID#:9087
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
46/108
Declaration of Lisa Liberi
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
EXHIBIT 5
46
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 1 of 17 Page ID#:9088
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
47/108
http://www.orlytaitzesq.com/?p=25677
Exb. "5", pg. 47
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 2 of 17 Page ID#:9089
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
48/108
VIDEOS
Home
from Drudge report
from my supporter Jeanie
I just did Vicky Middleton show in Dallas, TX
Dr. Orly Taitz EsquireDefend Our Freedoms Foundation 29839 Santa Margarita Pkwy, ste 100, Rancho
Santa Margarita CA, 92688 Copyright 2010
World's Leading Obama Eligibility Challenge Web Site
Your donations to the cause are much appreciated.
WHEN THE PEOPLE FEAR THEIR GOVERNMENT,
THERE IS TYRANNY.
WHEN THE GOVERNMENT FEARS THE PEOPLE,
THERE IS LIBERTY.
- Thomas Jefferson
DURING TIMES OF UNIVERSAL DECEIT,
TELLING THE TRUTH
BECOMES A REVOLUTIONARY ACT.
- George Orwell
The articles posted represent only the opinion of the writers, do not necessarily represent the opinion of Dr. Taitz, ESQ, and Dr. Taitz, ESQ has no means of
checking the veracity of all the claims and allegations in the articles.
World Net Daily is sending flyers and asking for
money for Gary Kreep, who is harassing me with a
bogus law suit
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 48
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 3 of 17 Page ID#:9090
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
49/108
Posted on | September 19, 2011 |No Comments
service obamaObamas tax returnsSelective
What is the real motivation of World Net Daily?
A number of individuals told me, that World Net Daily is sending flyers via e-mail, asking for donations for
Gary Kreep, who together with Philip Berg is harassing me with a bogus law suit, full of insane accusations,
such as: attorney Orly Taitz tried to hire a hit man to kill Lisa Liberi, assistant of attorney Philip Berg, she alsotried to hire the same hit-man to kidnap children of of former volunteer web master Lisa Ostella, who
diverted money from Taitzs foundation. Ostella, also, found some dead rabbits near her home in New Jersey
and thinks that attorney Taitz killed those rabbits.
It is despicable, that attorneys claiming to be on the same side would collude with a known convicted felon,
forger and thief Lisa Liberi, put their name and license under garbage drafted by her and World Net Daily
would promote such attorney and would ask anybody to donate a cent to this attorney.
I am also questioning another fact. When a number of constituents met with Joe Arpaio and he announced
that he will look into eligibility, I called a person, who organized this meeting and asked, if he can arrange for
me to meet with Arpaio and show him the evidence on Social Security fraud. About an hour after this
conversation I got a call from Gerome Corsi, who asked me not to talk to Arpaio about Social Security, as he
stated that Arpaio is not sure, he will deal with this issue, and adding one more issue will make him drop it all
together. Originally I agreed, however now I believe, that this is the most explosive issue, easiest to prove,
and it is a mistake not to bring it to Arpaio. A number of people tried to reach Arpaio, sent him all the info,
but so far he did not agree to meet with me and talk about SSN fraud.
Social Security fraud is a very strong argument. Ive already proven it. There is nothing more to prove. See
below: Obama is using this ssn in his tax returns and according to e-verify it was never assigned to him. Case
closed.
I do not understand, why Gerome Corsi did not want me to talk to Arpaio about SSN ID fraud. I need your
help in reaching Arpaio and every sheriff and providing them with evidence of SSN fraud by Obama.
I believe it is an embarrassment, that World Net Daily, which claims to be on our side is promoting Kreep,
who is still harassing me with this bogus law suit. WND should not be doing any business with Kreep, as
long as he is part of this despicable attack on me, on investigator Sankey and on all the database companies,
which supplied Sankey, Daniels and Sampson information about Obamas fraudulent use of a CT SSN
042-68-4425. On whose side is WND? Are they really on our side or are they part of controlled opposition?
Category:Uncategorized
Comments
Leave a Reply
Name (required)
Email Address(required)
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 49
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 4 of 17 Page ID#:9091
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
50/108
Website
Comments
!! IMPORTANT NOTICES PLEASE READ !!
NEW! CA REP CENTRAL COMMITTEE LISTCAMPAIGN FLIERfor Orly Taitz as CA SOS
CAMPAIGN FLIERfor Orly Taitz as CA SOS, 2 Per Page
How to contact public Integrity unit
See The PDF File Here
US Department of Justice has a special unit in their Criminal Division called the
PUBLIC INTEGRITY SECTION
Contact Orly!
email: [email protected] Urgent? Call: 949-683-5411
Recent Posts
World Net Daily is sending flyers and asking for money for Gary Kreep, who is harassing me with a
bogus law suit
from Ventura Tea Party leader Mona Hansen
from Politico
I am asking my supporters to continue calling FBI cvber crimes unit and demand action in regards to
hacking. It has been two and a half years, and they still didnt do a thing
two attorneys, who worked for Juudge Carter, when Barnett, Keyes et al v Obama was derailed, areLindsay Lutz and Siddharth Velamoor. Does anyone have their IP addresses?
Categories
Dossiers (74)
Dr. Orly TV; Videos (155)
DUNNGATE (73)
Events (359)
Health & Safety (9)
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 5
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 5 of 17 Page ID#:9092
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
51/108
Help Needed (292)
HOT ITEMS! (1050)
Humor(89)
Important Contacts (82)
Latest News (937)
Legal Actions (454)
Letters from Readers and Patriots (374)
Letters/Feedback from Readers (383)
LINKS (252)Obama Fraud Gate (263)
Other Criminal or Suspicious Activities (280)
Radio and Media Broadcasts (305)
Supporting Documentation (267)
Uncategorized (6331)
Archives
September 2011
August 2011July 2011
June 2011
May 2011
April 2011
March 2011
February 2011
January 2011
December 2010
November 2010
October 2010
September 2010August 2010
July 2010
June 2010
May 2010
April 2010
March 2010
February 2010
January 2010
December 2009
November 2009
October 2009September 2009
August 2009
July 2009
June 2009
May 2009
April 2009
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 5
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 6 of 17 Page ID#:9093
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
52/108
September 2011
M T W T F S S
Aug
1 2 3 4
5 6 7 8 9 10 11
12 13 14 15 16 17 18
19 20 21 22 23 24 25
26 27 28 29 30
Search for:
Official Facebook Page
Orly Taitz
Create Your Badge
My RSS Feed
RSS Feed - Visit and Subscribe
Other Sites
Atlas Shrugs
Alan Keyes - Loyal to Liberty
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 5
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 7 of 17 Page ID#:9094
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
53/108
Birther Report
FedUpUSA.Net
Post & Email
Rick Baker Show
Blogroll
Conservative Monster
Give Us Liberty Blog
How to contact public Integrity unit
IMPORTANT.. PLEASE READ!!!!!
Judges Hall of Shame
Paypal Donate
Advertisement / Sponsors
Vote Dr. Orly Taitz for CA Secretary of State
Click the picture below to visit the campaign website.
--------------------------------------
Make a donation to Dr. Orly Taitz for CA Secretary of State 2010 Campaign
--------------------------------------
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 5
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 8 of 17 Page ID#:9095
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
54/108
--------------------------------------
--------------------------------------
Videography by Barbara Rosenfeld
--------------------------------------
--------------------------------------
Bumper Sticker
$9.99 thru PayPal
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg.
Case 8:11-cv-00485-AG -AJW Document 387-3 Filed 09/22/11 Page 9 of 17 Page ID#:9096
8/4/2019 Liberi v Taitz Liberi Decl in Support of Plffs Opp and Obj to LOOT MTD and Amended MTD Doc 387
55/108
--------------------------------------
Powered by WordPress | Copyright Defend Our Freedoms Foundation
d Net Daily is sending flyers and asking for money for Gary Kreep, ... http://www.orlytaitzesq.com/?
9/19/2011 1
Exb. "5", pg. 5
Case