thirstforjustice.tripod.com/grifvsrjmaccessrdc22615.html

Verified Statement of Robert J. More in re Endeavor to Deliver Courtesy Copies of Motions Set for 3/3 and 3/4 of 2015 in re Cases # 11 CH 12339, 08 CH 9977, 10 M1 015265, 013782 and 12 M1 012..., respectively

RJM contacted Lou in Room 2600 (312 603-6000) at 16:57 CST on 2/26/15, then was connected to Room 704 and to CCSD Deputy Smith, in CL Room in Basement of RDC - RJM notified him that RJM was recording the conversation & then inquired re whatever protocols were at such juncture in place in re RJM's capacity to deliver courtesy copies of documents to judges in various courtrooms in the R. Daley Center D Smith informedRJM that he was not cognizant of what arrangement was then in place in re this matter. RJM petitioned for a supervisor in re which D. Smith informed RJM that none was available at such juncture.

RJM's position as of 2/26/15 at 1659 re RJM's access to the RDC - Unless and until RJM would have procured a confirmation on an electronic recording device that RJM can deliver courtesy copies of documents to various judges in the RDC and/or otherwise access it, w/o having to participate in any interaction with Judge S. Jones nor any other judge, RJM will continue to consider himself dispensed of any burden to deliver any such type documents and/or otherwise execute any tasks which absent the problems referenced in the S. C. R. 383 Motion which RJM has been in the process of completing and intends to file by 2/27/15, RJM would understand that he would have been/be burdened to execute`

RJM's proposal, as component part of inter alia, RJM's endeavor to adequately cover whatever burden to mitigate any and all damages incurred by RJM in re the issuance and/or enforcement of the Order issued on 9/6/13 in Case # 11 M1 013782 it is to which RJM is presently subject, to the CCSD as of 2/26/15 - Provide the confirmation referenced in RJM's position as of 2/26/15 ...RJM's access to RDC.... or if such would not be provided, provide explanation demonstrating that the the non-provision whereof can be justified, or if neither would be provided, provide explanation demonstrating that the non-provision of either such alternatives can be justified.

RJM's Report re Conveyance of Position and Proposal of 2/26/15

RJM contacted Lou in Room 2600 (312 603-6000) at 16:57 CST on 2/26/15, then was connected to Room 704 and to CCSD Deputy Smith, in CL Room in Basement of RDC - RJM notified him that RJM was recording the conversation & then inquired re whatever protocols were at such juncture in place in re RJM's capacity to deliver courtesy copies of documents to judges in various courtrooms in the R. Daley Center D Smith informedRJM that he was not cognizant of what arrangement was then in place in re this matter. RJM petitioned for a supervisor in re which D. Smith informed RJM that none was available at such juncture.

On 2/27/15 - RJM began at Marianos about 1315, then had to continue at LAF converting the 5 motions this document concerns and then posting them into the present ISMA website. RJM then completed this document, converted it and posted it at 1522

RJM then procured the phone extensions for rooms 1102 - 4545, 1307-3480, 2008-5926 and 2102-6039.

RJM sought confirmations re accessibility of each of the motion for the 5 different courts this document concerns - on second try, clerk in Kelly confirmed that the court would access the motion via the clerk's docket, re Jack and Zeeh, Nilsa confirmed that the Court would possess access to the respective motions, RJM delivered the complete URL at which Grif... has been posted and delivered URL for Lblanc to law clerk in re which he informed RJM that accessibility whereto had not been demonsttrated as of 2/27, so RJM provided Table of Contents URL and now RJM must complete T of C and post it.