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Thirst For Justice Website

 

 TABLE OF CONTENTS

  1. Chronological from 1/1/1999 to Present

  2. Pleadings, Responses, Bystander's Reports, Orders, Judgments, and Other Type Presentations Sorted by Subject

  3. PROFILES IN TERROR - Roster of Despotic, Authority-abusing, Antinomian, Machiavellian, Violence-perpetrating, Cannibalistic, Presumptive and Actual Felons & Enemies of the "The Rule of Law", the U.S. of America & of Civilization Itself & of Every Sacred Principle Upon Which the Basis for Such Abides and Record of Documents Produced in Interactions of Various Sorts with these Specimens & Bounties Which Have Been Put up for Successful Criminal Prosecution &/or Revocation of Authority &/or Removal from Office, &/or Siezure of Compensation & Benefits Package &/or Siezure of Assets Corresponding to the Persons & Entities to Whom Such Bounties Have Been Affixed

  4. Application of the Trachea-Closing Clench and Other Type Techniques to Negate Even the Most Enormous of Size and Strength Advantages/Disadvantages Even to the Level at Which Such Objective can be Accomplished Without Even Injuring Any Attacker but at the Very Least at a Level at which no one would ever be Injured Either out of a Lack of Concern to Avoid Unjustifiably Injurying Anyone via the Utilization of Excessive Force or Due to Any Other Type Duty Breach Since the DNRCPN Maintains a Zero Tolerance of Duty Breaches of Any Sort

  5. RJM’S Understanding of the Requirements for Eternal Salvation

  6. Copies of Every Document RJM & Other Non-officer Members of the DNRCPN has (have) Submitted to U.S. Attorneys in any Location or to Any Other Criminal Prosecution Entity, and/or De Forma "Law Enforcement" Entity, Other than Those He (They) has (have) been Explicitly Directed not to Post or Publicly Declare

  7. A Modest Proposal for the Establishment of an Anti-terror/Anti-slavery Party

  8. Notification that Anything May be Copied from this Site Unless There is Formal Notice to the Contrary.

  9. A Short List of Causes for Special Concern & the Persons Whose Activity has Engendered Such Causes [defined Alternatively as: "Profiles of The Candidates for the Distinction of 'The Person's Whose Activity the (select your entry for the blank)______________ Can Evidently Least Afford to Neglect &/or Fail to Eliminate'."

  10. PROFILES IN HOPE/SOURCES OF ASSISTANCE - A Short List of Causes for Hope & the Persons Whose Activity has Engendered Such Causes [defined alternatively as: "Profiles of The Candidates for the Distinction of 'The Person's Whose Activity the (select your entry for the blank)______________, Can Evidently Least Afford to Lose'."

  11. Solicitation not of Donations but Rather of Requests for Donations From Other Charities & Foundations With Accompanying Explanations as to Why a Given Such-Type Entity is Presumably More Deserving of Continued or New Support than Other Entities to which Continued or New Support Might be Provided

  12. Provision for the Making of Donations to the DNRCPN, by Anyone Who Might be Inclined to Make Such, to the DNRCPN, Without Which it Would & Will Certainly be Much More Difficult to Continue to Endeavor to Accomplish the Objectives in Regard to Which Category #10 has been Established than it Would be with Such Conjectural Future Provisions of Moral, Monetary, &/or Assistance-in-kind Support S

  13. Possible & Actual Plans and Projects of the DNRCPN aka "The Anti-terror, Anti-slavery Agenda" (ie Why "The Question" is not now nor has it ever been Whether One is "to be or not to be" much less "What You can do for your Country," but Rather is & Always has been "How much Damage Can I do to Lucifer's Agenda Before my Accountability Appointment?"

  14. Spiritual Reading - the Fuel for the Fight

  15. Other Websites Worth Investigating

  16. Some Special Apologies Beyond the General Apology Owed to Each & All to Whom Duties of Care Have Gone Unfulfilled for the Lack of Commitment to Righteousness/Corrupted Priorities that are at the Base of Every Duty-Breach &/or Negligence that can be Justifiably Imputed to a Human Agent

  17. Bounty Fund Project, Fundamental Distinction Between the Principle of The Rule of Law & that of The Reign of Terror, Ground Rules for Litigation in an Environment that Must be Treated as if it were a a "Reign of Terror Environment" Even if it is not, in Order to Cover a Conjectural Worst Case Scenario, Reliance Formula, Declaration of Non-legitimacy/Non-finality or "How to Preserve a Meritorious Claim Regardless of What Occurs in Any Court Proceeding(s)", Explanation as to Why it is that What it is that a Member of the Non-Slavemaster Class is Supposed to be Doing in Prosecuting Litigation in Most Courts at this Juncture in History, is not to Be Endeavoring to Win the Litigation but Rather to Preserve all Meritorious Claims Regardless of What Occurs in a Given Theatre, Frivolousness Antidote/Counteroffensive, Conditions & Prerequisites Governing the Filing/Non-filing of Criminal Complaints, Acknowledgement of Non-possession of Anything Remotely Resembling a "Right" to Accept a Disposition from a Court, or any Other Entity for that Matter, in Which is Implicitly Contained a Proposal for a "Unilateral Conveyance of Consideration" (Which, inevitably, is Always that the Evidently Financially & Politically Less Favorably Positioned Party in an Adjudication, or Interaction of One Sort or Another, Concede Some Form & Measure of Consideration of Whatever Sort, Which There is Actually a Duty to Which Such Party is Subject, to Retain & Protect, to the Evidently More Favorably Positioned Party on the Age Old "Just Give Me the Sudetenland, & I'll Leave the Rest of Europe Alone" Motif,)& Which Type Concession Inevitably Engenders More of the Type of Aggression & Oppression that Such Type Concession was Conjecturally Granted to Prevent - Why? Because the God Who Actually Exists, Possesses Claims on Every Aspect of My Person,Just as He Possesses Claims on Everything Created Without Exception & Therefore, I AM OBLIGED TO ACKNOWLEDGE THAT NEITHER I NOR ANYONE ELSE, FOR THAT MATTER, EVER POSSESSES THE AUTHORITY TO GIVE ANY TALMUDIC-BARBARIC ANY FORM OF CONSIDERATION REMOTELY RESEMBLING THE "BEQUETHMENT OF THE SUDETENLAND", What is meant by the claim that what it is that the financially & politically less favorably positioned party ("FPLFPP") in a proceeding must prevent any & all "Reign of Terror Representatives" ("RTR") from accomplishing in a given proceeding is to prevent him (her)(them) from keeping the FPLFPP from turning his (her)(their) (ie the RTR's)arguments "inside out", & Other Weapons & Tactics with Which the Members of the DNRCPN Hope to Assist Everyone in any Type Need of Assistance Whom for Whatever Reason Ends up in the DNRCPN's Path as it Continues to Head Through the Plethora of the Adversities & Afflictions, Tribulations & Turbulence & Just Plain Difficulties that Characterize for Every Sojourner (Both Individual & Collective) Here Below, the "Way Through the Wilderness from "Egypt" to the "Promised Land" (cf. Ex.8:28, 14:11, 16:3, 17:1, et al), aka "The Royal Road of the Holy Cross" - Howsoever Bitter it May Be - Which Alone Holds Forth the Prospect of Arriving at the Only Destination Ultimately Worth Arriving at - the Heavenly Homeland, for its Rendevous with that Avenging Fire (Dt 4:23)at the Ultimate Accountability Appointment at Which Juncture No Accounts Will be Left Either Unjustly Settled or For That Matter, Unsettled, Period.

  18. Some Special Expressions of Appreciation

  19. Why the Standard of Non-counterfeit Christian Conduct is Much More Appropriately Phrased as WWSAD? or WWSTD? than as WWJD?

  20. An Admittedly Modest Contribution to the Ongoing Debate in Anti-Reign of Terror, Anti-slavery Circles as to Whether the Continued Non-utilization of Vigilantism &/or Domestic Insurrection, Which Means of Course Would not Exclude the Utilization of the Prospect of the Use of Force &/or of the Actual Use of Force in the Protection of Life, Liberty & in Some Cases, Even Just Property, that the Moral Law Permits in Some Cases & Indeed Requires in Others, is Still Morally Justified Given the Enormity of the Gains the Forces of Terror & Slavery have been Continuing to Make Against The Principle of the Rule of Law & Everything that is Still Worth Protecting in this God-forsaken Country, as Means to Combat the Continued Onslaught of Iniquity by Which She is Currently So Seemingly Overwhelmingly Beseiged

  21. Another Modest Proposal Which Would Make the Utilization of Vigilantism &/or Domestic Insurrection Against the Terror, Effective Slavery & Cannibalism to Which the Majority of Americans are now Subject, Unecessary & Therefore Unjustified, Including Modifications in the Criminal Law Which Would Render the Use of Civil Courts Unecessary for the Majority of Americans for Whom Access to Justice is in Fact a Mere Legal Fiction at this Lamentable & Abominable Period in U.S. History With Application for Deputization Included Therein

  22. Some Horror Stories from the Seventh Circuit Court of Appeals

  23. Some Horror Stories from the U.S. District Court for the Northern District of Illinois

  24. Some Horror Stories from the Circuit Court of Cook County

  25. Some Horror Stories from Various Other Forums & Theatres in the God-forsaken, Luciferian Dominated, Reign of Terror, Slave Encampment that this Country has Become (But Be Certain not to Miss any MNF Highlights Over Any of Them)

  26. Some Special Expressions of Appreciation

  27. Notification to Any Representative of Any Law Enforcement Entity (Whether Such Entity Generally Succeeds in Enforcing Laws Justly or, as is Lamentably Usually the Case in this God-forsaken Period - Actually Usually if not Always, Ends up Enforcing & Preserving Iniquity Under the Color of Law) Whose Activity Should Ever Bring Him or Her into Contact of Any Kind with the Activity of the DNRCPN or RJM - the Webmaster for this Site - that if Such Representative Finds Him or Her(self) in Conflict with Either the DNRCPN or RJM, that it Must be Presumed that the Source of Such Conjectural Conflict is that the Activity of Such Conjectural Individual is at Such Conjectural Juncture Being Conducted According to What Can be Identified to Constitute the "Reign of Terror Standard"(see Chapter 17), & that the Activity of Either the DNRCPN &/or RJM - its Webmaster - is Being Conducted According to What Can be Identified to Constitute "The Rule of Law Standard" & that Such Conjectural Representative Would in Such Conjectural Case be Unjustifiably & Presumptively Illegally Interfering with the Rule of Law Defending, Constitution Defending, Justice Defending, Activity, of Either the DNRCPN &/or that of RJM, if He or She Were to Continue to Refuse to Accede to the Just Demands that Either the DNRCPN &/or RJM Would in a Conjectural Conflict Scenario Posit, & that Any Such Type Conjectural Refusal Would Elicit the Non-discretionary Filing of Federal Felony Complaints, Writs of Quo Warranto & Federal Civil Rights Claims for Both Monetary Damages & Injunctive Relief in Regard to Any & All Unjustifiable Harm-Causing Actual Duty-Breaches Committed & /or That Might Prospectively Be Committed, Most Likely First in the Rothschild Controlled Courts and Then in an ISMA Tribunal, & that Thus, it Might Behoove Such Type Representative to Obtain Legal Counsel from an "Atypical" (as Distinct from a "Non-atypical") Attorney, Before Continuing to Interfere With any Activity that Either the DNRCPN &/or RJM Might at Any Juncture Be Conducting. Neither the DNRCPN nor RJM or Any Other Non-officer or Officer Member Would Ever Endeavor to "Set Anyone (or Any Entity) Up", but Neither is it the Case, that Anyone Affiliated with the DNRCPN Would Hesitate to Collect Monetary Damages for Any Duty-Breach Ever Committed & this Notice Serves Among Other Purposes, that of Circumventing Defenses to Claims that May Later Have to be Filed that Any Activity Affiliated with Either the DNRCPN or Conducted by RJM, Contributed to the Causing of a Breach of a Duty or Constituted Culpable Negligence in Regard to Any Alleged Non-mitigation of Damages Caused by Any Duty Breach Ever Committed Wherein the DNRCPN &/or its Webmaster, RJM Would Succeed in Proving that any Injury Incurred was Imputable to Such Duty-Breach, Via this Demonstration of a Commitment of All ISMA Members to Prevent the Perpetration of Duty Breaches in the First Instance. Read Entirety of Document

  28. Candidates for the Title of "The Single Individual Soul Whose Activity has Evidently Resulted in the Most Damage to Lucifer's Agenda During His or Her Tour of Duty in the Earthly Theatre During the Twentieth & Twentyfirst Centuries

  29. Join the Campaign to "Make the World Safe for Innocence Once Again"

  30. Why the Charter of the DNRCPN Includes the Requirement that Full Members Thereof Pledge to "Keep their Bodies in "Harm's Way" Until the Moments of their Respective Deaths as a Condition of Membership in the Network

  31. STOP VIOLENT CRIME, SALVAGE THE REPUBLIC - Repeal All Firearms Bans, Especially Those on Concealed and Assault Firearms, Get All Foreign Troops Out of the U.S., Disarm All "Law" Enforcement Entities and Officers Until Rearming Only Those Demonstrated Capable of Discharging All Duties of a Given Office So as to be Capable of Keeping and Bearing Firearms Without Unjustifiably Injuring Anyone, Revoke All Law Licences, Close and Destroy All FEMA Detention Centers, Eliminate Any and All Unmonitored Government Activity, Disseminate Information on "The Proposed Non-interference Compact" Being Presented to Various Government Employees Throughout the Country, Overhaul the Penal Code & Criminal Prosecution System to Bring it into Compatibility with the Actual Present Disastrous Condition of the Non-atypical American Courts & "Law Enforcement" Entities, Expatriate, or At Least Incarcerate, & Sieze Assets of, All Treasonists, - the Only Means by Which to Salvage the Republic Without Using Force to Accomplish the Objective. Read and sign the Petition for the Institution of the "Carney-Mulhern Laws", & "The Babbit-Bruen-Devine Laws", Now! and the entirety of the DNRCPN's Proposed Referendum as well.

  32. The Story of the Attempted Lynching of One Contra-Talmudic-barbarity, Contra-Reign of Terror Individual, Who Just Happens to be a Probationary Member of the DNRCPN

  33. Notice to Any & All Government Officials in Any Capacity of the Commitment of the DNRCPN to Assist Any & All Whistleblowers, Non-capitulators, Non-derelicts &/or Other Individuals Who Take Contrary to the Preservation of " The Reign of Terror" Status Quo Positions in the Accomplishment of the Objectives of Retaining &/orRegaining Fighting Positions, Turning the Tables (Over)(cf. Mt. 11:15, Jn. 2:15), & " to Ensure that the "Fight is Carried On'" Post Mortem, if Necessary; and Information Regarding, and Petition for, Financial Assistance, for the Prosecution of Civil Rights Claims by Any Law Enforcement Officer who is Ever Punished in any Substantial Manner for Refusing to Obey an Immoral and Unjust Order as Those Terms Would be Defined by Non-counterfeit Roman Catholic Moral Principles. Access Information and Petition Here. Access correlative - "Notice to Law Enforcement Supervisors and Judges that the Punishment of any Subordinate for Refusing to Implement and/or Otherwise Obey an Order, the Implementation of and/or Obedience to, Which, Would Necessitate a Given Subordinate's Disobedience to Any of God's Commandments Will Result in the Implementation of Among Other Measures, That of There Being a "NO VIOLENCE PERMITTED Bounty" Being Issued on the Employment Position and Career of Whomever, in Whatever Position, Would Have, in Such Scenario, Imposed Any Substantial Punishment in Regard to Such Type Non-capitulatory Activity" - Here

  34. Demonstrations of Non-capitulation From Various Forums

  35. RESCUE LITTLE RED RIDING HOOD AND LIBERATE AMERICA OR ELSE AT LEAST COLLECT A $1000 REWARD FOR DEMONSTRATING THAT NO MORAL LAW-ABIDING PERSON HAS ANYTHING TO FEAR FROM GEORGE W.BUSH AND THE INTERNATIONAL BANKING CARTEL & SIGN AN AFFIDAVIT IN REGARD TO YOUR RESPONSE TO IT, SO IT CAN BE SEEN THAT YOU ARE NOT JUST ANOTHER SYCHOPHANT QUISLING INGRATE WHO WILL PERMIT YOUR NEIGHBORS TO BE MURDERED WHILE YOU REFUSE TO PROVIDE ANY ASSISTANCE TO PREVENT THE COMMISSION OF SUCH TYPE CRIMES AND ATROCITIES SHOW ME THAT GEORGE BUSH IS NOT DIRECTING THE OF STAGING AN AMBUSH ON NOT ONLY ME, BUT YOU & THE ENTIRETY OF WHATEVER CONSTITUTES YOUR FAMILY!!

  36. Complaints against probationary members and or officers of the DNRCPN for conduct alleged to be unjustified in some way.

  37. The Moral Basis of the Arguments For and Against Domestic Insurrection at this Juncture in the Country's History, Whether the DNRCPN is Still Promoting Abstention From Domestic Insurrection at this Juncture, Why a French Revolution Type Agenda Must Be Opposed Every Bit as Much as the Descent into Total Tyranny, Terror, Slavery and Barbarism in Which the Country is Presently Obviously Descending, in That that Revolution was Itself a Talmudic-barbaric Atrocity and Finally, Why the Only Protection from the Kind of Atrocities Another French Revolution Type Development Would Include for Those Responsible for the Descent into Tyranny..., is a Sufficiently Vigorous Opposition to that Descent Accompanied by a Similarly Vigorous Commitment to Restore a Governmental System Based upon the Demonstratively Noncounterfeit Rule of Law Standard.

  38. RTWP

  39. PROPOSED DEPUTIZATION DOCUMENT

  40. PROPOSED RULE CHANGES FOR TRIAL COURT PROCEEDINGS IN COOK COUNTY (IL) CIRCUIT COURT SYSTEM

  41. Motion of 3/12/07 in People v Bollyn

  42. PLAINTIFF'S (“RJM'S) SECOND COMPONENT OF MOTION TO RECONSIDER OF 3/13/07, POSTED ON THE INTERNET URL: http://www.geocities.com/thirstforjustice/laus0031.htm

  43. SUPERIOR SERVICE TESTIMONIAL For: USCA for the 7th Circuit, Deputy Clerk Eric Frost

  44. Declaration of Unconstitutionality as Applied....

  45. (ROMAN CATHOLIC) (ANTI-PREDATION FOR THOSE WHO FOR WHATEVER REASON ARE OUTSIDE THE RC CHURCH BUT ARE OPPOSED TO PREDATIONS OF WHATEVER SORT) LITIGATION CHART

  46. Noncounterfeit University of Notre Dame Online

  47. Bland, Young, Spencer Murders Avenging Project Internet Docket

  48. Passias, Akal Sec Predation Perpetration Avenging Project Internet Docket

  49. Core Temporal Problem

  50. Standard & Method of Adjudication (Preliminary) Docs of 5/25/13

  51. Offer to Rothschilds and Minions to Surrender of 11/24/13

  52. Rule of Law v Reign of Terror Standards

  53. A Modest Proposal

  54. Master Document List of 122213

  55. Amicus Petition of RJM to SCOTUS in Dei v Tumara Foods, et al

  56. Table of Contents as of 1414 at 2400

  57. Griffith Fed Grand Jury Submission of 11/21/13 Including Accusations of Treason

  58. Griffith Fed Grand Jury Submission of 11/22/13

  59. Griffith Notices re Criminal Liability of 11/25/13 - Haldol et al

  60. Griffith Demand re Service of Notices of 11/25/13 re Crim Liability

  61. Griffith Confirmation of Rec of Service of 11/25/13

  62. Griffith Fed Grand Jury Submission of 11/26/13

  63. Griffith Fed Grand Jury Submission of 12/2/13

  64. Griffith Fed Grand Jury Submission of 12/11/13

  65. Griffith Fed Grand Jury Submission of 12/16/13

  66. Griffith Notices re Criminal Liability of 12/16/13

  67. Griffith Demand re Service of Notices of Criminal Liability of 12/16/13

  68. Complaints Against ISMA Members - Form

  69. Superior Service Testimonial Template

  70. Roman Catholic Dispute Resolution Chart - 10/22/12

  71. Admission that "Goliath" (ie the Party Apprehended by the Tribunal Presider to be Closer to the Rothschilds Than the Other Adversar(y)(ies) Involved in Any Given Dispute) Never Loses in this Country's Nominal Government Courts Except When A Judge J. Alesia Profile Judge Adjudicates a Given Dispute

  72. Proposed Ground Rules for Litigation - 10/22/12

  73. Prevent a Worst Case Scenario Method of Adjudication Participation

  74. Confirmation re CPVR Retention Agenda of ... in re Prosecution of ........

  75. Forbearance/Contra-predatory Vigilantism Formula

  76. Declaration of Unconstitutionality of Criminal Code of ... in re Use of Contra-predatory Vigilante Remedies for Purposes of Adequately Remedying Unjustifiably Caused Injuries

  77. Addendum to Davis Moral Theology -Duties of Certain Classes of Laypeople re Judicial Tort Liability

  78. Invitation to Archdiocese of Chicago, IL via Fr. Francis George of Aug of 2013

  79. Wrongful Death Disbursement for ISMA Br. #4 AAA, R.J. More

  80. RJM's Inchoate, Revised from Prior Postulations, Position of 12/8/13 re Minimal Requirements for the Procurement of a Favorable Eternal Disposition of Soul ("FEDS")

  81. ISMA Disclaimer re Fraternal Corrections

  82. ISMA Distinction Between Magna Charta Cl 61 Soldiers and Spineless, Merciless, Sychophants of the Rothschilds

  83. ISMA SST for D. Hackett re Stopping Coerced Drugging

  84. Master Document List of 122213

  85. ISMA Closed Loop Security Protocol

  86. ISMA Distribution of Lawsuit Fund of 8/16/13

  87. Bounty Hunting Invitation

  88. ISMA Hall of Shame Nomination for Br. #4 AAA R.J. More for His Apportioned Share of the Appalling Conditions Innocence and Posterity Have Inherited

  89. ISMA Apology to the World's Children of 121513

  90. Faulkner v Simko - Slaying of the Dragon of Judicial Immunity

  91. More et al v Griffith et al Docket - Bringing Rothschild Public Payroll Parasitic and Otherwise Predatory Reptiles to Justice or Justice to Them

  92. ISMA Intervention to Assist Whistleblower Attorney L.O. Amu

  93. Griffith & Jack et al IL SCR 383 Motion to IL Sup. Ct of 1/9/14

  94. Prop Verified Statement of CCSD Sgt Garrett of 12/2/13, Including Demands to Defeat Institutional Opacity

  95. ISMA Superior Service Testimonial for USDC for EDM Judge Victoria Roberts Regarding Her Quashing of the Minions of the Rothschilds Manufactured Hutaree "Crimes"

  96. Indemnification Against Detrimental Reliance Damages in re ISMA Members

  97. ISMA Apology to the World's Children of 11114

  98. Contra-genocide Laws - Requiring Various Govt Officials to Wear Wires According to Formula Accommodating Legitimate Reliance Interests

  99. ISMA's Notice to Rothschild Owned and Operated Govt Officials of 1/18/14 - That Either the Period of Legitimate Reliance Interest Defraudment with Impunity is Over, or the Duration of the ISMA's Existence is Over, as There is not Room Out Here for Both

  100. Notice in Form of Precursor Notice of Issuance of Allegations of Treason of 1/21/14 Against All of Those Responsible for the Present Existence of the NDAA's Treasonous Provisions

  101. Apology re Ads in this Site Contravening Requirements of Papal Condemnation of Immodest Fashions of 1929...

  102. Operative Abjuration of ISMA Br. #4 AAA - RJM of 1/24/14

  103. ISMA Superseding Template for Superior Service Testimonials, Nominations and Pledges of Assistance of 1/18/14

  104. ISMA Template for Rescission of Superior Service Testimonials, Nominations and Pledges of Assistance of 1/24/14

  105. Sup Service Test re Rule of Law Rescuing Burden Bearing Attorney L Amu of 2013

  106. Invitation to IL ARDC Regarding ISMA BR. #4 AAA RJM Commitment to Ensure Adequate Administration of Retribution/Protection of Rule of Law in Re Fusillade Launched Against Law License of L Amu

  107. ISMA SST for Anthony Rodriguez of 12514

  108. ISMA SST for LAF Custodian Juan J. Damian

  109. 2013 Blogs from JB Campbell Extremism Online w/ Some Expressions of Concern

  110. Invitation to Chicago, 32nd Ward Ald. and Ward Members to Sign Petition Demanding Declaration of Unconstitutionality of Criminal Code re ...RJM

  111. Utube Video Posting re Address of R. J. More at Chicago Police Board Mtg of 3/20/14 re Bland/Young/Spencer Murder Investigations, etc.

  112. Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al Mourning the Loss of Camelot & Realization of the Consideration to Which the Innocents (Jn. 21:15) Are Entitled

  113. Utube Video Postings re Encounters of ISMA Br. #4 AAA - RJM with Various Govt Officials

  114. Utube Video Posting re Address of R.J. More at Chicago Police Bd Mtg of 4/17/14 re B/Y/S Murder Investigations, etc.

  115. Notice to Activity Conductors of Various Types Regarding Dispute Resolution Priorities and Methods of 4/23/14

  116. Frederick Bastiat's Lamentation re Government Plunder and Cannibalism in a Democracy

  117. Alexander Solzenhitsyn's Lamentation from the Soviet Gulag re Having Waited Too Long Before Resorting to the Use of Force Against Government Violence

  118. CCA 5 Judge E. Jone"s Lamentation re the Corruption and Criminality of the American Judicial System

  119. A Tribute and Pledge to the Members of the Barksdale Nine, Terrence Yeakey, Brad Duochette, Pat Tillman, and Others Whose Refusal to "Give In and go Along to Get Along" Cost Them Their Lives

  120. An Augmented Version of the Constitutional Sheriff's and Peace Officer's Jan of 2014 Resolution which ISMA Br. #4 AAA, RJM Would Sign w/ Alacrity

  121. RJM's Easter of 2014 Apology and Consideration of "Special Needs" Souls

  122. How Lucifer has Evidently Used "Branch-hacking Endeavors" Such as "Pro-life" Activism to Divert Resources from the Solving of the CTP & Bring the World to the Brink of the Completion of the NWO Genocide of the Goyim

  123. Presently Operative Notice to Members of the Slavemaster Class Whom the Their Superiors from the Rothschilds on Down would have Impose Talmudic-barbarity at Gunpoint Upon the World's "Goyim", Subtitled: Have the World's Children Received the Consideration to Which They Have Been Entitled from ISMA Br. #4, AAA, RJM In the Audit Period Consisting of ...-...?

  124. Initial Component of Proposed Verified Statements of RJM, USMS Dep P. Mosier and Asst. U.S. Atty K Hayes (NDIN) of 4/30/14 re Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al

  125. Phone Questions for USMS and US Attorney for NDIN of 5/1/14 and Demands re Expedition of Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al

  126. Recap re Activity conducted till 1400 on 5/1/14 in re RJM v UND FGJ Communications ...re 2009 Notre Dame False Arrests et al

  127. Message RJM delivered to US Atty for NDIN on 5114 at 2350 CST ...re 2009 Notre Dame False Arrests et al

  128. Message RJM delivered to USMS for NDIN for NDIN on 5114 at 2357 CST ...re 2009 Notre Dame False Arrests et al

  129. Amended Complaint of 9/8/11 in More v Rojas, City of Chicago, et al.re 4th Amend Violation and Gun Pulling which can be accessed at: thirstforjustice.tripod.com/rojamcom9811.html"

  130. FOIA Request of 5/6/14 re Residence and Email Addresses, etc of Notre Dame 2009 Commencement Criminals

  131. Notice to Notre Dame 2009 Commencement Villains & Proposed Release and Satisfaction of 5/6/14

  132. Evidence of Federal Crimes Perpetrated in Arrest of RJM on 5/17/09 at the UND

  133. Superior Service Testimonial for SJCIP Attorney Eric Tamashasky of 5/7/14

  134. Notice and Demands Email re Notre Dame 2009 Federal Crimes to AUSA K Hayes for NDIN of 5/9/14 re Various Matters

  135. Asset Retention Monitor's Profile in Talmudic-barbaric Police State

  136. Partial List of Strategies and Tactics Used to Destroy Opposition to Police States Throughout Recent Centuries

  137. The Actual True Legacy of Archvillian Treasonor U.S. Atty for the NDIL Patrick "Neo-Nazi and Genocidist of the Goyim" Fitzgerald in Impeachment of the Rothschild's Propaganda, in Re Whereto, Such that it Can Be Demonstrated that His Self-professed Commitment to "Do the Right Thing Actually Constituted a De Facto Claim to a Prerogative to "Do the Rothschild Thing (Consumation of the Enslavement of the To-be-retains and Extermination of the Rest of the 'Goyim' with Impunity" - Skull and Crossbones Activity with a Yellow Smiley Face Veneer Whereover to Keep the Warmblooded Component of the Gullible Goyim Sufficiently Deceived & Stupified Until They Will Have Been Exterminated

  138. Accusations of Treason Regarding Contributions to Conference of Appearance of Legitimacy upon Soetoro's Claim to U.S. Presidency

  139. Signature Line for ISMA Br. #4 AAA, RJM of 42213

  140. Tooley/Hogget Addition of 51214 to "Oathkeepers Ten Orders We Will Not Obey"

  141. First Superseding Component of 5/13/14 of Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes

  142. First Component of 4/29/14 of Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes

  143. One of the Most Important Components of the Burden of Any and All Government Officials in re Any and Every Quantum of Activity Ever Conducted in the Exercise of the Authority of Any and All Government Office(s)

  144. Running Narrative of RJM's Activity from 4/29/14 thru 5/15/14 in re the Notre Dame 2009 Commencement Crimes

  145. Voice Mail Message of 5/14/14 to AUSA Hayes and Conversation with USMS Dep. McKesson re UND 2009 Crimes

  146. Initial Component of Complaint Filed or "Attempted to be Filed" on 5/15/14 re Interference with Independence of the Fed Grand Jury in re UND 2009 Crimes

  147. Invitation of 5/14/14 to Nominal Attorney General, Nominal U.S. Marshal, U.S. Attorney, USMS Marshal, & Any and All AUSA's and any Deputy U.S. Marshals for NDIN, Responsible Beyond the Level of "Remote, Non-necessary Cooperation" for the Prevention of the Institution of Criminal Charges in Regard to the Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes &/or Any Superseding Components Whereof to Demonstrate the Non-incurrment of Criminal/Tort Liability in re Whereto

  148. Invitation(s) ...to Endeavor to Demonstrate that the 5/15/14 Rejection by the Pro Se Manager of the Clerk of the CCA 7 of Robert J. More's Petition for the Recission did not Result in Incurrment of Criminal...Liability

  149. Invitation(s) ...to Endeavor to Demonstrate that the 5/14/14 Activity of the USDOJ in Re Federal Grand Jury Access re UND 2009 Commencement Crimes in re ...did Not Result in Incurrment of Criminal...Liability

  150. Phone Message to AUSA Hayes and Conv. w/ USMS on 5/14/14 re Position of USDOJ to Keep UND 2009 Commencement Crimes Unpunished in Any Rothschild Controlled Theatres

  151. Phone Conversation with CCA 7 re Alleged Basis for Rejection of RJM's Motion to Rescind of 5/15/14

  152. Motion of 5/15/14 for Recission of CCA 7 Filing Restriction Upon RJM

  153. Notice to USDC for NDIN Clerk S. Ludwig of 5/16/14 re UND FGJ Petition for TRO re RJM's Understanding of His Burden:Liability re Filing Restriction Matter

  154. UND Invitation of 5/17/14 to Provide Assistance/Notification of Recovery Disbursement

  155. UND FGJ Notice of 5/18/14 re TRO Concerning Criminal Liability

  156. Ninth Amendment Silver Bullet to Lucifer's Jugular re Fighting Rothschild Nominal Government Criminal Activity

  157. First Component of 5/21/14 of Petition for Indictment of Cook County State's Attorney Federal Crimes, Starting in June of 2009, Followed by Cover-up Whereof

  158. Video Record of CCA 7 Order of 5/20/Denying RJM's Motion to Rescind Filing Restriction and Reception of Service of Pet for Indictment of CCSA of 5/21/14

  159. Complaint in CCCC, IL Case # 11 M1 013782, Including Allegations of Crimes by Jack and CCSA Thug

  160. Motion in CCCC Case # 11 M1 013782 of 4/2/14 for 7/3/14

  161. Motion in CCCC, IL Case # 11 CH 12339 of 4/2/14 for 7/2/14

  162. Motion in CCCC, IL Case # 08 CH 9977 of 4/2/14 for 7/2/14

  163. Motion in CCCC, IL Case # 10 M1 015265 of 4/2/14 for 7/2/14

  164. Motion in CCCC, IL Case # 12 M1 012163 of 4/2/14 for 7/2/14

  165. First Superseding Component of 6/30/14 ... in CCCC Case # 11 M1 013782 of 6/30/14 for 7/3/14

  166. Petition for Indictments of 2009 08 CH 9977 Crimes

  167. Petition for Indictments of 2009 USDC for NDIL M. Shadur/U.S. Attorney NDIL 18 USC 242 Crimes

  168. Petition for Indictment of October 2009 Walenda USMS and Walsh US Atty NDIL 18 USC 242 Crime

  169. NOM of 6/30/14 in CCCC, IL Case # 11 M1 013782

  170. Initial Component of ... of Petition for Indictment of 2009 and after Chas LaBlanc, F. Greenfield, CCCC, IL J. L. Preston, Atty E Leahy, Atty S. Wing, Leahy, Eisenberg & Frankel Law Firm18 USC 242 Crime

  171. Initial Component of ... of Petition for Indictment of CCCC, Il Judge S. Jones re 18 USC 242, 1346 Crimes

  172. Initial Component of ... of Petition for Indictment of CCCC, IL Judge L. Martin, Cook County State's Attorney A. Alvarez, Asst. CCSA's E. Garcia, P. Groah, P. Driscoll, IL AG L. Madigan, Asst. IL AG's G. Griffin, S Conway, T.Dart and All Case # 11 CH 12339 Defendants re 18 USC 242, 1346 Crimes(/a>

  173. Initial Component of ... of Petition for Indictment of CCCC, IL Judge J. Snyder re 18 USC 242, 1346 Crimes

  174. Initial Component of ... of Petition for Indictment of CCCC, IL Judge L. Dunford, D. Shelley, A Alvarez, P. Driscoll, E. Garcia, R. Shippee re 18 USC 242, Crimes

  175. Updated Roster of Members of the Slavemaster Class Unlimitedly Available Version/Classified Version, Activity Resulting in Inclusion In Roster of Members of the Slavemaster Class -

  176. , Demand to Circuit Court of Cook County, IL C.J. T. Evans of 7/13/14, that he Either Justify the Ban on Electronic Recording Devices in CCCC, IL Courts....

  177. ...Petition of RJ More of 7/25/14 ...File Amicus Petition in Faulkner v Simko in CCCC, IL ...Eliminate Judicial Immunityj

  178. Superior Service Test for TMobile Rep. R. Fraga of 8/7/14

  179. a href="ismasstuspsmspatterson8714.html">Superior Service Test for USPS Sup. Ms. Patterson of 8/7/14

  180. Address of R.J. More to Supt. of CPD at Chi Police Board of 10/18/14, Explicating IL v Krull (_U.S._) SCOTUS "Objectively Reasonable Reliance" Standard, Leaving "Nuremburg Defense ("I was just taking/executing orders") Not Even Available Via Existing Operative Legal Precedents

  181. Extra Space Storage Complaint of 10/28/14

  182. Notice of Mitigation of Damages Endeavor to J. Jones of 10/29/14 re Extra Space Storage Complaint

  183. Complaint in More et al v Walenda, USMS re Activity of 10/16/09

  184. Notice and Proposed Stipulation of 10/31/14 to USMS Deputy R. Walenda

  185. Notice of 1/27/15 from RJM to D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  186. Superior Service Testimonial for CPL Librarian Barbara ....

  187. Notice and Invitation of 11/24/14 to LA Fitness Regarding Diminished Value of Contract

  188. Initial Component of 12/10/14 of Petition to Intervene/Amicus ... in Younes v Daniggelis - Case # 14 M1 701473

  189. First Superseding Component of ... of Petition to Intervene/Amicus ... in Younes v Daniggelis - Case # 14 M1 701473

  190. Discussion of 11/19/14 Between RJM and JBH Attorney Regarding Effect on Settlement Value of More et al v JBH et al of Addition of Former Navy Seal Carl Higbie to CPV Recovery Team

  191. Proposed Verified Statement re Daniggelis Intervention of ....,CCSD Sgt Radar and Deputy Cano and All Other's Incurring Criminal and/or Tort Liability Regarding Denial of Access to Room 1302 of the R. Daley Center on 12/10/14

  192. RJ More Addresses Chicago Police Bd Mtg on 12/11/14, Emphasizes Need to Kill the NWO, then Demands Explanation Re Still Another Absence of Supt. McCarthy and Relation of Such Absence to A Possible Prevention of Investigation of the Bland, Young and Spencer Murders

  193. Notice of 11/25/14 to Cook County, IL Sheriff T. "Genocidist" Dart of His Criminal and Tort Liability Regarding Prevention of Use of Electronic Recording Devices on County Property

  194. Docket re Intervention in 2013 Boston Marathon Bombing Adjudication

  195. Initial Component of 1/19/15 of R.J. More's Habeas Petition to the SCOTUS to Permit RJM to Intervene into the Tsarnaev Boston Marathon 2013 Bombing Trial

  196. Initial Component of 1/20/15 of Petition of R.J. More ...Tsarnaev...Trial

  197. tsarnaevfamema12215.html">Notice & Invitation of 1/22/15 from RJM to Family and Supporters of D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  198. Notice of 1/27/15 from RJM to D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  199. More et al v Lablanc et al, Case # 08 Ch 9977 in CCCC, IL, Motion of 11/2714 for 3/4/15

  200. More et al v Martin in re More et al v Griffith et al, et al S.C.R. 383 Abbreviated Proposed Order of 3/2/15

  201. More et al v Griffith et al, Case # 11 CH 12339 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  202. More et al v Lablanc et al, Case # 08 Ch 9977 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  203. More et al v Jack et al, Case # 11 M1 013782 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  204. More et al v Zeeh et al, Case # 10 M1 015265 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  205. Petition and Related Documents in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CPO D. Rojas re 4/17/10 Seizures was Attempted Before 4/18/15

  206. Report re Endeavors to Deliver Petition to FGJF for NDIL for Procurement of Indictment of CPO D. Rojas re 4/17/10 Seizures to Rojas

  207. Notice and Demand to CPD & Rojas re Petition for Indictment of 4/15/15

  208. Superior Service Testimonial to CPD Sgt E. Winstrom re Rojas Matters

  209. R.J. More address to Chicago Police Board of March, 2015 (Insistence in Procuring Justification of Absence of Supt. for Fifth Straight Month Causes Board Pres to Go Ballistic)

  210. R.J. More Second Part of Address to Chi Pol Bd of March 2015

  211. R.J. More address to Chicago Police Board of April, 2015

  212. R.J. More address to Chicago Police Board of May, 2015

  213. RJ More's Initial Component of 5/11/15 to Intervene in Faulkner v Otto in USDC for NDIL

  214. Documents R.J. More Endeavored to Deliver to FGJ FP for USDCNDIL in Faulkner et al v Otto et al on 5/11/15

  215. Petition in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CCCC, IL Judge J. Snyder was Attempted on 5/11/15

  216. Petition in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CCCC, IL Judge J. Snyder...p.2

  217. Notice to CCCC, IL Judge J. Snyder, Attorney M. Collins and CCCC, IL Judge L. Dunford of Endeavor to Procure Indictments of Them/Invitation to Demonstrate Innocence....

  218. Petition For Institution of Criminal Charges for Official Misconduct Against CCSA A. Alvarez, Asst. CCSA Driscoll & P. Groah, IL Atty Gen. L. Madigan Asst IAG G Griffin & S. Conway & CCCC, IL Judge L. Martin of 5/17/15 in Case # 11CH 12339

  219. Petitioner Robert J. More's ("RJM") Abbreviated First Superseding Component ("FSC") ...5/24/15 ... of Petition to Get Criminal Information Instituted Against CCSA Alvarez, IAG Madigan, Judge L. Martin and Others...Case # 11 CH 12339....

  220. ...Proposed Order of 5/28/15 in re Petition to Get Criminal Charges Instituted Against CCSA, IAG et al

  221. Citizen Vigilance Bulletin of 5/26/15 in re Suspicious Vehicle in Chicago, IL

  222. Oral Notice of 7/1/15 in CCCC, Il Case # 11 CH 12339 of Revised POS for Motion for 7/1/15

  223. Oral Notice of 7/1/15 in CCCC, IL Case # 11 M1 013782 of Revised POS for Motion for 7/2/15

  224. Oral Notice of 7/1/15 in CCCC, IL Case # 10 M1 015265 of Revised POS for Motion for 7/2/15

  225. Superior Service Testimonial of 7/15/15 for CPD Officer Cole w/ Disclaimer

  226. Most Recent ISMA Fraternal Correction/Profession of Faith, Standing Declaration

  227. Most Recent Abbreviated ISMA Fraternal Correction/Profession of Faith, Standing Declaration

  228. An Alternative to the Tragic Legacy of 9/11/01's First Responders ("FR")for FR's of the Next Jewish Supremacist False Flag Terror Act

  229. Property Notice Regarding Papachristou Personal Allocation

  230. Some Questions Regarding the Evidently Not Immediately Apprehended Costs of Non-participation in the Competition to Keep the Government(s) and Those Who Control Them (at this Juncture the Jewish Supremacists) Held to the Various Contracts Applicable to the Activity Whereof

  231. Notice and Invitation of 7/6/15 to Judge P. Beibel Regarding Documents Designated for Among Other Destinations, that of the Federal Grand Jury in Chicago, IL for Him to Demonstrate Innocence if He Can Do So

  232. Oral Notice of 7/1/15 in CCCC, IL Case #08 CH9977 of Revised POS for Motion for 7/1/15

  233. Report of Endeavor to Provide Oral Notice of 7/1/15 in CCCC, IL Case # 12 M1 012163 of Revised POS for Motion of 7/1/15

  234. Revised Proof of Service in Case # 11 CH 12339 for Motion for 7/1/15

  235. Revised Proof of Service in Case # 08 CH 9977 for Motion for 7/1/15

  236. Revised Proof of Service in Case # 11 M1 013782 for Motion for 7/2/15

  237. Revised Proof of Service in Case # 10 M1 015265 for Motion for 7/2/15

  238. Revised Proof of Service in Case # 12 M1 012163 for Motion for 7/1/15

  239. Motion in CCCC Case # 11 M1 013782 of 8/3/15 for 11/1/15

  240. Motion in CCCC, IL Case # 11 CH 12339 of 7/31/15 for 10/29/15

  241. Motion in CCCC, IL Case # 08 CH 9977 of 7/31/15 for 10/29/15

  242. Motion in CCCC, IL Case # 10 M1 015265 of 8/3/15 for 11/1/15

  243. Motion in CCCC, IL Case # 12 M1 012163 of 7/31/15 for 10/29/15

  244. Disclaimer Template Explanation of 7/20/15 in re Individuals Whose Activity in Various Areas RJM has Frequently Endorsed, Extolled, and/or Used for Example(s)

  245. Disclaimer

  246. Report of 7/30/15 re GrifGroah Official Misconduct Developments Thru Notification of CC, IL, OIG

  247. Report of 7/30/15 re Snyder/Dunford/Collins 18 USC 242 Petition for Indictment Developments Thru Notification of ....

  248. Report of 7/30/15 re Project Appleseed Shoot of 5/30-31/15

  249. Report of 7/30/15 re SUV w/ Plate 11 422 in May of 2015

  250. Report of 7/30/15 re Filing, Service of Documents in Re 5 CCCC, IL, Cases - 11 CH 12339, 08 CH 9977, 10 M1 015265, 11 M1 013782, 12 M1 012163

  251. Recovery of the Independence of the Federal Grand Jury Intervention Docket

  252. Edward Snowden ("ES") Exoneration and Criminal Conviction Agenda of the Oppressors of ES/Elimination of Criminal Surveillance of U.S. Citizens Intervention Docket

  253. Termination of Jewish Supremacist Extortion Labelled as "Federal Income Tax" Intervention Docket

  254. Chicago Police Bd Mtg of August 2015 Terminated Before RJM Could Access it - re Rekkia Boyd Protest

  255. ISMA Br. 4, AAA R. J. More's Address to the Chicago Police Board Mtg of 9/17/15

  256. Intervention of R. J More in Faulkner v Simko, CCCC, IL - 13 L8396 of Sept. 2015 (End Judicial Immunity, etc)

  257. SST for CPD Sgt. Wade of October, 2015

  258. SST for CPD Off. Darnall and Associates of October, 2015

  259. False Accusation of Antisemitism against RJ More from Dr. Caproni of Chi Pol Bd and RJM's Initial Response of 10/13/15

  260. Series of Documents Filed by RJ More in Daniggelis Mortgage Foreclosure from Jan 2011 thru Sept of 2015

  261. ISMA Abbreviated Profession of Faith/Fraternal Correction Template of October 2015

  262. RJ More's Voicemail to Chi Pol Bd Executive Assistant, Dr. Caproni of 10/15/15, Addressing Constitutional Objections to Antisemitic Accusation in re Sept. 2015 Address to Chi Pol Bd by RJM, in Arrangement in Which Calls Were Remaining Unanswered

  263. RJ More's Address to Chicago Police Board of 10/15/15

  264. Report of 10/21/15 Regarding RJ More's More Recent Endeavors to Eliminate Policy and Practice of Prevention of the Use of Electronic Recording Devices on Cook County, IL Property, Especially in Courtrooms

  265. Invitation to CCCC, IL Chief Judge T. Evans, CC, IL Sheriff T. Dart, CCSD Representatives... to Demonstrate Innocence If it Can Be Demonstrated in Regard to Deprivation of Use of Electronic Recording Devices in CCCC, IL Courtrooms and Buildings in General

  266. Invitation of 10/17/15 to CCCC, IL Judge G. Scully to Demonstrate Innocence If It Can Be Demonstrated in Ruling in "...Daniggelis" w/o Ruling on RJ More's Petition to Intervene

  267. Invitation of 10/17/15 to Former Chi Pol Bd Exec Dir D. Carney to Demonstrate Innocence If It Can Be Demonstrated in ...Jan or march of 2015

  268. Invitation of 10/17/15 to CCCC, IL Judge L Martin to Demonstrate Innocence If It Can Be Demonstrated of Charge of Official Misconduct in re Various Components of Adjudication of CCCC, IL Case # 11CH 12339

  269. Invitation of 10/17/15 to Law Clerk S. Conlon of CCCC, IL Judge L Martin to Demonstrate Innocence If It Can Be Demonstrated of Charge of Official Misconduct in Whatever Role he Played in re Various Components of Adjudication of CCCC, IL Case # 11CH 12339

  270. Invitation of 10/17/15 to IL App. Court First District Judge M.A. Mason to Demonstrate Innocence If It Can Be Demonstrated of Charge of Violation of 18 USC 242 in re Adjudication of CCCC, IL Case # 10CH ....

  271. Petition for Indictments to Federal Grand Jury Foreperson in Chicago, IL Regarding Deprivation of Use of Electronic Recording Devices in CCCC, IL Courtrooms and Buildings in General

  272. PR&S to J. Younes

  273. Intervention of R J. More in Daniggelis Mortgage Foreclosure of 10/13/15

  274. Petition for Indictment of ...

  275. Report of 10/../15 Regarding Endeavor to Present Evidence to Federal Grand Jury Foreperson in Chicago, IL

  276. Complaint of 10/../15 to Office of Inspector General of U.S. Department of "Justice" re Deprivation of Citizen access to Federal Grand Jury in Chicago, IL

  277. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  278. Complaint of 10/../15 to Office of Inspector General of State of IL in re...

  279. Complaint of 10/../15 to Office of Inspector General of Cook County, IL in re Prevention of Use of Electronic Recording Devices

  280. Complaint of 10/../15 to Office of Inspector General of Cook County, IL in re Priorities According to Which Cook County State's Attorney's Office Defends Cases

  281. Complaint of 10/../15 to State of IL Judicial Inquiry Board in re ...Activity Conducted by Judge L. Martin

  282. Complaint of 10/../15 to

  283. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re Criminal and Tortious Defense of Civil Cases

  284. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re Non-provision of Copy of Alleged Report of Board of Independent Review of April 2015 Report re Rojas Crimes

  285. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  286. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  287. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  288. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  289. Invitation to CCCC, IL, Judge E. O'Neil Burke to Demonstrate Innocence...

  290. FOIA to USDOJ Regarding Interference/Deprivation of Citizen Access to Federal Grand Jury

  291. FOIA Regarding City of Chicago 10/26/15 Off Streets Cleaning

  292. Notice of Motion of 11/5/15 in CCCC, IL Case # 11 CH 12339 and Petitions for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin, his Law Clerk in 2012/2013, IL Atty Gen L Madigan and Asst. IAG's Griffin and Conway and CCSA A. Alvarez and Asst. CCSA's Driscoll and Groah

  293. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin

  294. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against IL Atty Gen L Madigan and Asst. IAG's Griffin and Conway and CCSA A. Alvarez and Asst. CCSA's Driscoll and Groah

  295. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Conditional Institution of Criminal Charges Against Law Clerk of CCCC, IL, Judge L. Martin

  296. Invitation to Judge L. Martin, IAG and Asst. IAG's, CCSA and Asst. CCSA To Demonstrate Innocence ...of 10/17/12...

  297. First Superseding Component of 11/5/15 of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin, IAG L Madigan et al and CCSA A Alvarez et al

  298. Notice of Motion of 11/6/15 in CCCC, IL, Case # 11 CH 12339

  299. Invitation to Judge L. Martin, To Demonstrate Innocence ...of 11/6/15...

  300. Partial Plenary Component of Petition for Institution of Criminal Charges ...Martin...11/5/15 -

  301. FOIA Regarding CCSD Prevention of ERD Use On Cook County, IL Property and Communications to Such Office in this Regard

  302. Report of 11/16/15 Regarding Developments in Retention of Administration of Just Recompense Project in re Government Crimes Perpetrated in re Adjudication of Case # 11 CH 12339, in CCCC, IL, Focused Upon Petitioning to Get Criminal Charges Instituted for Official Misconduct Against CCCC, IL J. L. Martin, et al, IAG L. Madigan, et al, & CCSA A. Alvarez et al

  303. Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning Court in GMAC v ...Daniggelis, et al Proposed Order of 11/16/15 in

  304. Report of 11/16/15 Regarding Developments in Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning to Get Criminal Charges Instituted for Official Misconduct Against CCCC, IL J. L. Martin, et al, IAG L. Madigan, et al, & CCSA A. Alvarez et al

  305. Proposed Order of Robert J. More of 11/16/15 in G.M.A.C. v ...Daniggelis, et al

  306. Proposed Verified Statement of 11/16/15 of Phone Answerer in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15, Inclusive

  307. Subpoena of 11/16/15 of Phone Answerer in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15, Inclusive

  308. Proposed Verified Statement of 11/16/15 of CCCC, IL Judge L. Martin in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15,

  309. Component of Conversation of 11/9/15 in re Institution of Criminal Charges Relating to Room 101

  310. Component of Conversation of 11/9/15 in re Institution of Criminal Charges Relating to Chancery Divison of CCCC, IL Court

  311. Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning Court in GMAC v ...Daniggelis, et al. Proposed Order of 11/16/15 in

  312. Affidavit of Marvin Faulkner re Illegal Siezure, etc. by CCSD Police of 11/4/15

  313. ISMA Government Criminality and Violence Report Bulletin re Illegal Seizure(s) of 11/4/15 of Non-capitulator to Nazism Marvin Faulkner

  314. FOIA Request in Re Illegal Seizure(s) of 11/4/15 of Marvin Faulkner

  315. ISMA Br. #4 AAA, R.J. More's Address to Chicago Police Bd of 11/19/15

  316. SST for CPD Off. Espinoza of November, 2015

  317. SST for LA Fitness, Canal St. Chicago, IL, Mgr Robert ... and Custodian Larry Hills of November, 2015

  318. SST for Bucktown Chicago, IL, Bestbuy Sales Associate David Diego of 11/18/15

  319. SST for USPS Clerk Lela ....November, 2015

  320. Report of 11/21/15 in re Proposed Intervention in G.M.A.C, v ...Daniggelis, et al.

  321. Report of 11/21/15 in re Intervention in re Illegal Seizure of Marvin Faulkner of 11/4/15

  322. Demand re Replacement of Present Jewish Supremacist Regulation of Summonsing of Collective Force of the Body Politic Arrangement with Regulation Warmblooded Individuals Can Accept

  323. ISMA Br. #4 AAA, R.J. More's Intervention into Issue of Cause of Death of Paul Wellstone

  324. ISMA Br. #4 AAA, R.J. More's Intervention into Issue of Cause of Death of Aaron Russo

  325. ISMA Br. #4 AAA, R.J. More's Intervention into Cause of Prosecution, Conviction and Death of Edgar Steele

  326. Demand re Replacement of "Regularity" in Presumption of Regularity in Government Activity in Which Regularity is Left Undefined w/ Definition of Regularity as "Accommodating of Jewish Supremacist Agenda, Accompanied by Correlative Defraudments of Legitimate Reliance Interests

  327. Disclaimer of RJ More in re Atty Lanre Amu

  328. Disclaimer of R.J. More in re Interaction w/ Ryan and Jacqueline of 11/21/15

  329. Disclaimer of R.J. More in re Dr. Chas Rice, Deceased

  330. Disclainer of R.J. More in re Professor Edward J. Murphy, Deceased

  331. SST for CCCC, IL D.C. Louisa

  332. Report re Motion Filings in Grif, Labl, Jack, Zeeh & Kelly Cases

  333. Report re USPS Encounter with LEO's of 11/22/15

  334. Complaint Against CCCC, IL CJ Evans and CCS Dart re Prohibition on Use of ERD's in RDC as of 11/23/15

  335. Invitation to Chaplain/Presbyter Blaise Cupich of 11/25/15

  336. Superior Service Testimonial of 11/25/15 for LA Fitness Custodian Larry Hills

  337. Challenges to Constitutionality of NDAA Section 1021, Ongoing Police Investigation, LEO and National Security Privileges

  338. SST for Bucktown, Chicago, IL, Bestbuy Mobile Section Sales Associate David Diego of 12/16/15

  339. SST for Wrightwood, Chicago, IL, Bestbuy Geek Squad Technician Nelson Delgado of 12/7/15

  340. SST for Canal St, Chicago, IL, Bestbuy Geek Squad Technician Josue of 12/9/15

  341. Report re Submission of Petitions for Indictments of CCCC, IL, Judge L. Martin, IAG L. Madigan, CCSA A. Alvarez, et al.

  342. SST for Compuxpress Partner A. Martinez

  343. Report re Petitions for Indictments of 12/17/15 in re Deprivation of Access to FGJ, Deprivation of Capacity/Prerogative to Produce Electronic Recording of Endeavor to Deliver Documents to FGJ, Deprivation of Names of Security Operatives Interfering with Citizen Access to FGJ, Execution of Orders Issued by Individuals Who Have Not Been Appointed by a Legitimate Holder of the Office of the POTUS

  344. Report to USDOJ OIG in re Deprivation of Access to FGJ, etc.on 12/17/15

  345. Invitation to Judge Mary Ann Mason to Demonstrate Innocence of Criminal Liability in re Her Adjudication of CCCC, IL, Case # 10 CH 22662

  346. Petition For Indictments to Federal Grand Jury in Chicago, IL, in re Violations of 18 USC 242 by Former Circuit Court of Cook County, IL ("CCCC") Judge Mary Ann Mason, CCCC, Judge Paul Beibel (Conditionally) of 12/17/15....

  347. Single Page Version of Petition For Indictments of Judge M.A. Mason et al...to Federal Grand Jury in Chicago, IL, of 12/17/15

  348. Report of 12/22/15 in re Processing of Petition for Indictment... M.A. Mason...

  349. Superior Service Testimonial for Best Buy Geek Squad Techician Kimberly Walker

  350. Documents Delivered to Judge L. Martin and Staff Regarding Developments Concerning RJM's Endeavor to Get Criminal Charges Instituted Against Judge L. Martin, IAG L. Madigan, CCSA A. Alvarez, et al in November 2015

  351. Voice Mail Delivered in GMAC et al v ...Daniggelis in Early a.m. on 12/21/15 re ...& 3rd Party Standing Burden of Court

  352. Petition for Issuance of Indictment to Federal Grand Jury Foreperson in Chicago, IL Against Judge E. O'Niel Burke, in re Sanction Issued in

  353. Invitation to CCCC, IL Judge S. Jones to Demonstrate Innocence if it Can be Demonstrated....

  354. Initial Component of Sept. 2015 of Intervention of R. J More in Faulkner v Otto, USDC NDIL - of Sept. 2015 (Indep of Fed Grand Jury, End Judicial Immunity, Electronic Recording Device Use in Courts, NDAA 1021, Abuse of Summary Criminal Contempt, etc.)

  355. ISMA Apology to the World's Children of 11114

  356. Contra-genocide Laws - Requiring Various Govt Officials to Wear Wires According to Formula Accommodating Legitimate Reliance Interests

  357. ISMA's Notice to Rothschild Owned and Operated Govt Officials of 1/18/14 - That Either the Period of Legitimate Reliance Interest Defraudment with Impunity is Over, or the Duration of the ISMA's Existence is Over, as There is not Room Out Here for Both

  358. Notice in Form of Precursor Notice of Issuance of Allegations of Treason of 1/21/14 Against All of Those Responsible for the Present Existence of the NDAA's Treasonous Provisions

  359. Apology re Ads in this Site Contravening Requirements of Papal Condemnation of Immodest Fashions of 1929...

  360. Operative Abjuration of ISMA Br. #4 AAA - RJM of 1/24/14

  361. ISMA Superseding Template for Superior Service Testimonials, Nominations and Pledges of Assistance of 1/18/14

  362. ISMA Template for Rescission of Superior Service Testimonials, Nominations and Pledges of Assistance of 1/24/14

  363. Sup Service Test re Rule of Law Rescuing Burden Bearing Attorney L Amu of 2013

  364. Invitation to IL ARDC Regarding ISMA BR. #4 AAA RJM Commitment to Ensure Adequate Administration of Retribution/Protection of Rule of Law in Re Fusillade Launched Against Law License of L Amu

  365. ISMA SST for Anthony Rodriguez of 12514

  366. ISMA SST for LAF Custodian Juan J. Damian

  367. 2013 Blogs from JB Campbell Extremism Online w/ Some Expressions of Concern

  368. Invitation to Chicago, 32nd Ward Ald. and Ward Members to Sign Petition Demanding Declaration of Unconstitutionality of Criminal Code re ...RJM

  369. Utube Video Posting re Address of R. J. More at Chicago Police Board Mtg of 3/20/14 re Bland/Young/Spencer Murder Investigations, etc.

  370. Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al Mourning the Loss of Camelot & Realization of the Consideration to Which the Innocents (Jn. 21:15) Are Entitled

  371. Utube Video Postings re Encounters of ISMA Br. #4 AAA - RJM with Various Govt Officials

  372. Utube Video Posting re Address of R.J. More at Chicago Police Bd Mtg of 4/17/14 re B/Y/S Murder Investigations, etc.

  373. Notice to Activity Conductors of Various Types Regarding Dispute Resolution Priorities and Methods of 4/23/14

  374. Frederick Bastiat's Lamentation re Government Plunder and Cannibalism in a Democracy

  375. Alexander Solzenhitsyn's Lamentation from the Soviet Gulag re Having Waited Too Long Before Resorting to the Use of Force Against Government Violence

  376. CCA 5 Judge E. Jone"s Lamentation re the Corruption and Criminality of the American Judicial System

  377. A Tribute and Pledge to the Members of the Barksdale Nine, Terrence Yeakey, Brad Duochette, Pat Tillman, and Others Whose Refusal to "Give In and go Along to Get Along" Cost Them Their Lives

  378. An Augmented Version of the Constitutional Sheriff's and Peace Officer's Jan of 2014 Resolution which ISMA Br. #4 AAA, RJM Would Sign w/ Alacrity

  379. RJM's Easter of 2014 Apology and Consideration of "Special Needs" Souls

  380. How Lucifer has Evidently Used "Branch-hacking Endeavors" Such as "Pro-life" Activism to Divert Resources from the Solving of the CTP & Bring the World to the Brink of the Completion of the NWO Genocide of the Goyim

  381. Presently Operative Notice to Members of the Slavemaster Class Whom the Their Superiors from the Rothschilds on Down would have Impose Talmudic-barbarity at Gunpoint Upon the World's "Goyim", Subtitled: Have the World's Children Received the Consideration to Which They Have Been Entitled from ISMA Br. #4, AAA, RJM In the Audit Period Consisting of ...-...?

  382. Initial Component of Proposed Verified Statements of RJM, USMS Dep P. Mosier and Asst. U.S. Atty K Hayes (NDIN) of 4/30/14 re Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al

  383. Phone Questions for USMS and US Attorney for NDIN of 5/1/14 and Demands re Expedition of Presentation of Evidence to Independent Grand Jury re 2009 Notre Dame False Arrests et al

  384. Recap re Activity conducted till 1400 on 5/1/14 in re RJM v UND FGJ Communications ...re 2009 Notre Dame False Arrests et al

  385. Message RJM delivered to US Atty for NDIN on 5114 at 2350 CST ...re 2009 Notre Dame False Arrests et al

  386. Message RJM delivered to USMS for NDIN for NDIN on 5114 at 2357 CST ...re 2009 Notre Dame False Arrests et al

  387. Amended Complaint of 9/8/11 in More v Rojas, City of Chicago, et al.re 4th Amend Violation and Gun Pulling which can be accessed at: thirstforjustice.tripod.com/rojamcom9811.html"

  388. FOIA Request of 5/6/14 re Residence and Email Addresses, etc of Notre Dame 2009 Commencement Criminals

  389. Notice to Notre Dame 2009 Commencement Villains & Proposed Release and Satisfaction of 5/6/14

  390. Evidence of Federal Crimes Perpetrated in Arrest of RJM on 5/17/09 at the UND

  391. Superior Service Testimonial for SJCIP Attorney Eric Tamashasky of 5/7/14

  392. Notice and Demands Email re Notre Dame 2009 Federal Crimes to AUSA K Hayes for NDIN of 5/9/14 re Various Matters

  393. Asset Retention Monitor's Profile in Talmudic-barbaric Police State

  394. Partial List of Strategies and Tactics Used to Destroy Opposition to Police States Throughout Recent Centuries

  395. The Actual True Legacy of Archvillian Treasonor U.S. Atty for the NDIL Patrick "Neo-Nazi and Genocidist of the Goyim" Fitzgerald in Impeachment of the Rothschild's Propaganda, in Re Whereto, Such that it Can Be Demonstrated that His Self-professed Commitment to "Do the Right Thing Actually Constituted a De Facto Claim to a Prerogative to "Do the Rothschild Thing (Consumation of the Enslavement of the To-be-retains and Extermination of the Rest of the 'Goyim' with Impunity" - Skull and Crossbones Activity with a Yellow Smiley Face Veneer Whereover to Keep the Warmblooded Component of the Gullible Goyim Sufficiently Deceived & Stupified Until They Will Have Been Exterminated

  396. Accusations of Treason Regarding Contributions to Conference of Appearance of Legitimacy upon Soetoro's Claim to U.S. Presidency

  397. Signature Line for ISMA Br. #4 AAA, RJM of 42213

  398. Tooley/Hogget Addition of 51214 to "Oathkeepers Ten Orders We Will Not Obey"

  399. First Superseding Component of 5/13/14 of Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes

  400. First Component of 4/29/14 of Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes

  401. One of the Most Important Components of the Burden of Any and All Government Officials in re Any and Every Quantum of Activity Ever Conducted in the Exercise of the Authority of Any and All Government Office(s)

  402. Running Narrative of RJM's Activity from 4/29/14 thru 5/15/14 in re the Notre Dame 2009 Commencement Crimes

  403. Voice Mail Message of 5/14/14 to AUSA Hayes and Conversation with USMS Dep. McKesson re UND 2009 Crimes

  404. Initial Component of Complaint Filed or "Attempted to be Filed" on 5/15/14 re Interference with Independence of the Fed Grand Jury in re UND 2009 Crimes

  405. Invitation of 5/14/14 to Nominal Attorney General, Nominal U.S. Marshal, U.S. Attorney, USMS Marshal, & Any and All AUSA's and any Deputy U.S. Marshals for NDIN, Responsible Beyond the Level of "Remote, Non-necessary Cooperation" for the Prevention of the Institution of Criminal Charges in Regard to the Petition for Indictment et al of 4/29/14 in re Notre Dame 2009 Commencement Federal Crimes &/or Any Superseding Components Whereof to Demonstrate the Non-incurrment of Criminal/Tort Liability in re Whereto

  406. Invitation(s) ...to Endeavor to Demonstrate that the 5/15/14 Rejection by the Pro Se Manager of the Clerk of the CCA 7 of Robert J. More's Petition for the Recission did not Result in Incurrment of Criminal...Liability

  407. Invitation(s) ...to Endeavor to Demonstrate that the 5/14/14 Activity of the USDOJ in Re Federal Grand Jury Access re UND 2009 Commencement Crimes in re ...did Not Result in Incurrment of Criminal...Liability

  408. Phone Message to AUSA Hayes and Conv. w/ USMS on 5/14/14 re Position of USDOJ to Keep UND 2009 Commencement Crimes Unpunished in Any Rothschild Controlled Theatres

  409. Phone Conversation with CCA 7 re Alleged Basis for Rejection of RJM's Motion to Rescind of 5/15/14

  410. Motion of 5/15/14 for Recission of CCA 7 Filing Restriction Upon RJM

  411. Notice to USDC for NDIN Clerk S. Ludwig of 5/16/14 re UND FGJ Petition for TRO re RJM's Understanding of His Burden:Liability re Filing Restriction Matter

  412. UND Invitation of 5/17/14 to Provide Assistance/Notification of Recovery Disbursement

  413. UND FGJ Notice of 5/18/14 re TRO Concerning Criminal Liability

  414. Ninth Amendment Silver Bullet to Lucifer's Jugular re Fighting Rothschild Nominal Government Criminal Activity

  415. First Component of 5/21/14 of Petition for Indictment of Cook County State's Attorney Federal Crimes, Starting in June of 2009, Followed by Cover-up Whereof

  416. Video Record of CCA 7 Order of 5/20/Denying RJM's Motion to Rescind Filing Restriction and Reception of Service of Pet for Indictment of CCSA of 5/21/14

  417. Complaint in CCCC, IL Case # 11 M1 013782, Including Allegations of Crimes by Jack and CCSA Thug

  418. Motion in CCCC Case # 11 M1 013782 of 4/2/14 for 7/3/14

  419. Motion in CCCC, IL Case # 11 CH 12339 of 4/2/14 for 7/2/14

  420. Motion in CCCC, IL Case # 08 CH 9977 of 4/2/14 for 7/2/14

  421. Motion in CCCC, IL Case # 10 M1 015265 of 4/2/14 for 7/2/14

  422. Motion in CCCC, IL Case # 12 M1 012163 of 4/2/14 for 7/2/14

  423. First Superseding Component of 6/30/14 ... in CCCC Case # 11 M1 013782 of 6/30/14 for 7/3/14

  424. Petition for Indictments of 2009 08 CH 9977 Crimes

  425. Petition for Indictments of 2009 USDC for NDIL M. Shadur/U.S. Attorney NDIL 18 USC 242 Crimes

  426. Petition for Indictment of October 2009 Walenda USMS and Walsh US Atty NDIL 18 USC 242 Crime

  427. NOM of 6/30/14 in CCCC, IL Case # 11 M1 013782

  428. Initial Component of ... of Petition for Indictment of 2009 and after Chas LaBlanc, F. Greenfield, CCCC, IL J. L. Preston, Atty E Leahy, Atty S. Wing, Leahy, Eisenberg & Frankel Law Firm18 USC 242 Crime

  429. Initial Component of ... of Petition for Indictment of CCCC, Il Judge S. Jones re 18 USC 242, 1346 Crimes

  430. Initial Component of ... of Petition for Indictment of CCCC, IL Judge L. Martin, Cook County State's Attorney A. Alvarez, Asst. CCSA's E. Garcia, P. Groah, P. Driscoll, IL AG L. Madigan, Asst. IL AG's G. Griffin, S Conway, T.Dart and All Case # 11 CH 12339 Defendants re 18 USC 242, 1346 Crimes(/a>

  431. Initial Component of ... of Petition for Indictment of CCCC, IL Judge J. Snyder re 18 USC 242, 1346 Crimes

  432. Initial Component of ... of Petition for Indictment of CCCC, IL Judge L. Dunford, D. Shelley, A Alvarez, P. Driscoll, E. Garcia, R. Shippee re 18 USC 242, Crimes

  433. Updated Roster of Members of the Slavemaster Class Unlimitedly Available Version/Classified Version, Activity Resulting in Inclusion In Roster of Members of the Slavemaster Class -

  434. , Demand to Circuit Court of Cook County, IL C.J. T. Evans of 7/13/14, that he Either Justify the Ban on Electronic Recording Devices in CCCC, IL Courts....

  435. ...Petition of RJ More of 7/25/14 ...File Amicus Petition in Faulkner v Simko in CCCC, IL ...Eliminate Judicial Immunityj

  436. Superior Service Test for TMobile Rep. R. Fraga of 8/7/14

  437. a href="ismasstuspsmspatterson8714.html">Superior Service Test for USPS Sup. Ms. Patterson of 8/7/14

  438. Address of R.J. More to Supt. of CPD at Chi Police Board of 10/18/14, Explicating IL v Krull (_U.S._) SCOTUS "Objectively Reasonable Reliance" Standard, Leaving "Nuremburg Defense ("I was just taking/executing orders") Not Even Available Via Existing Operative Legal Precedents

  439. Extra Space Storage Complaint of 10/28/14

  440. Notice of Mitigation of Damages Endeavor to J. Jones of 10/29/14 re Extra Space Storage Complaint

  441. Complaint in More et al v Walenda, USMS re Activity of 10/16/09

  442. Notice and Proposed Stipulation of 10/31/14 to USMS Deputy R. Walenda

  443. Notice of 1/27/15 from RJM to D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  444. Superior Service Testimonial for CPL Librarian Barbara ....

  445. Notice and Invitation of 11/24/14 to LA Fitness Regarding Diminished Value of Contract

  446. Initial Component of 12/10/14 of Petition to Intervene/Amicus ... in Younes v Daniggelis - Case # 14 M1 701473

  447. First Superseding Component of ... of Petition to Intervene/Amicus ... in Younes v Daniggelis - Case # 14 M1 701473

  448. Discussion of 11/19/14 Between RJM and JBH Attorney Regarding Effect on Settlement Value of More et al v JBH et al of Addition of Former Navy Seal Carl Higbie to CPV Recovery Team

  449. Proposed Verified Statement re Daniggelis Intervention of ....,CCSD Sgt Radar and Deputy Cano and All Other's Incurring Criminal and/or Tort Liability Regarding Denial of Access to Room 1302 of the R. Daley Center on 12/10/14

  450. RJ More Addresses Chicago Police Bd Mtg on 12/11/14, Emphasizes Need to Kill the NWO, then Demands Explanation Re Still Another Absence of Supt. McCarthy and Relation of Such Absence to A Possible Prevention of Investigation of the Bland, Young and Spencer Murders

  451. Notice of 11/25/14 to Cook County, IL Sheriff T. "Genocidist" Dart of His Criminal and Tort Liability Regarding Prevention of Use of Electronic Recording Devices on County Property

  452. Docket re Intervention in 2013 Boston Marathon Bombing Adjudication

  453. Initial Component of 1/19/15 of R.J. More's Habeas Petition to the SCOTUS to Permit RJM to Intervene into the Tsarnaev Boston Marathon 2013 Bombing Trial

  454. Initial Component of 1/20/15 of Petition of R.J. More ...Tsarnaev...Trial

  455. tsarnaevfamema12215.html">Notice & Invitation of 1/22/15 from RJM to Family and Supporters of D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  456. Notice of 1/27/15 from RJM to D. Tsarnaev Re Need for Processing of Eastman Evidence in Tsarnaev Case

  457. More et al v Lablanc et al, Case # 08 Ch 9977 in CCCC, IL, Motion of 11/2714 for 3/4/15

  458. More et al v Martin in re More et al v Griffith et al, et al S.C.R. 383 Abbreviated Proposed Order of 3/2/15

  459. More et al v Griffith et al, Case # 11 CH 12339 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  460. More et al v Lablanc et al, Case # 08 Ch 9977 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  461. More et al v Jack et al, Case # 11 M1 013782 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  462. More et al v Zeeh et al, Case # 10 M1 015265 in CCCC, IL, Motion of 4/2/15 for 7/1/15

  463. Petition and Related Documents in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CPO D. Rojas re 4/17/10 Seizures was Attempted Before 4/18/15

  464. Report re Endeavors to Deliver Petition to FGJF for NDIL for Procurement of Indictment of CPO D. Rojas re 4/17/10 Seizures to Rojas

  465. Notice and Demand to CPD & Rojas re Petition for Indictment of 4/15/15

  466. Superior Service Testimonial to CPD Sgt E. Winstrom re Rojas Matters

  467. R.J. More address to Chicago Police Board of March, 2015 (Insistence in Procuring Justification of Absence of Supt. for Fifth Straight Month Causes Board Pres to Go Ballistic)

  468. R.J. More Second Part of Address to Chi Pol Bd of March 2015

  469. R.J. More address to Chicago Police Board of April, 2015

  470. R.J. More address to Chicago Police Board of May, 2015

  471. RJ More's Initial Component of 5/11/15 to Intervene in Faulkner v Otto in USDC for NDIL

  472. Documents R.J. More Endeavored to Deliver to FGJ FP for USDCNDIL in Faulkner et al v Otto et al on 5/11/15

  473. Petition in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CCCC, IL Judge J. Snyder was Attempted on 5/11/15

  474. Petition in re Which the Delivery of to FGJF for NDIL for Procurement of Indictment of CCCC, IL Judge J. Snyder...p.2

  475. Notice to CCCC, IL Judge J. Snyder, Attorney M. Collins and CCCC, IL Judge L. Dunford of Endeavor to Procure Indictments of Them/Invitation to Demonstrate Innocence....

  476. Petition For Institution of Criminal Charges for Official Misconduct Against CCSA A. Alvarez, Asst. CCSA Driscoll & P. Groah, IL Atty Gen. L. Madigan Asst IAG G Griffin & S. Conway & CCCC, IL Judge L. Martin of 5/17/15 in Case # 11CH 12339

  477. Petitioner Robert J. More's ("RJM") Abbreviated First Superseding Component ("FSC") ...5/24/15 ... of Petition to Get Criminal Information Instituted Against CCSA Alvarez, IAG Madigan, Judge L. Martin and Others...Case # 11 CH 12339....

  478. ...Proposed Order of 5/28/15 in re Petition to Get Criminal Charges Instituted Against CCSA, IAG et al

  479. Citizen Vigilance Bulletin of 5/26/15 in re Suspicious Vehicle in Chicago, IL

  480. Oral Notice of 7/1/15 in CCCC, Il Case # 11 CH 12339 of Revised POS for Motion for 7/1/15

  481. Oral Notice of 7/1/15 in CCCC, IL Case # 11 M1 013782 of Revised POS for Motion for 7/2/15

  482. Oral Notice of 7/1/15 in CCCC, IL Case # 10 M1 015265 of Revised POS for Motion for 7/2/15

  483. Superior Service Testimonial of 7/15/15 for CPD Officer Cole w/ Disclaimer

  484. Most Recent ISMA Fraternal Correction/Profession of Faith, Standing Declaration

  485. Most Recent Abbreviated ISMA Fraternal Correction/Profession of Faith, Standing Declaration

  486. An Alternative to the Tragic Legacy of 9/11/01's First Responders ("FR")for FR's of the Next Jewish Supremacist False Flag Terror Act

  487. Property Notice Regarding Papachristou Personal Allocation

  488. Some Questions Regarding the Evidently Not Immediately Apprehended Costs of Non-participation in the Competition to Keep the Government(s) and Those Who Control Them (at this Juncture the Jewish Supremacists) Held to the Various Contracts Applicable to the Activity Whereof

  489. Notice and Invitation of 7/6/15 to Judge P. Beibel Regarding Documents Designated for Among Other Destinations, that of the Federal Grand Jury in Chicago, IL for Him to Demonstrate Innocence if He Can Do So

  490. Oral Notice of 7/1/15 in CCCC, IL Case #08 CH9977 of Revised POS for Motion for 7/1/15

  491. Report of Endeavor to Provide Oral Notice of 7/1/15 in CCCC, IL Case # 12 M1 012163 of Revised POS for Motion of 7/1/15

  492. Revised Proof of Service in Case # 11 CH 12339 for Motion for 7/1/15

  493. Revised Proof of Service in Case # 08 CH 9977 for Motion for 7/1/15

  494. Revised Proof of Service in Case # 11 M1 013782 for Motion for 7/2/15

  495. Revised Proof of Service in Case # 10 M1 015265 for Motion for 7/2/15

  496. Revised Proof of Service in Case # 12 M1 012163 for Motion for 7/1/15

  497. Motion in CCCC Case # 11 M1 013782 of 8/3/15 for 11/1/15

  498. Motion in CCCC, IL Case # 11 CH 12339 of 7/31/15 for 10/29/15

  499. Motion in CCCC, IL Case # 08 CH 9977 of 7/31/15 for 10/29/15

  500. Motion in CCCC, IL Case # 10 M1 015265 of 8/3/15 for 11/1/15

  501. Motion in CCCC, IL Case # 12 M1 012163 of 7/31/15 for 10/29/15

  502. Disclaimer Template Explanation of 7/20/15 in re Individuals Whose Activity in Various Areas RJM has Frequently Endorsed, Extolled, and/or Used for Example(s)

  503. Disclaimer

  504. Report of 7/30/15 re GrifGroah Official Misconduct Developments Thru Notification of CC, IL, OIG

  505. Report of 7/30/15 re Snyder/Dunford/Collins 18 USC 242 Petition for Indictment Developments Thru Notification of ....

  506. Report of 7/30/15 re Project Appleseed Shoot of 5/30-31/15

  507. Report of 7/30/15 re SUV w/ Plate 11 422 in May of 2015

  508. Report of 7/30/15 re Filing, Service of Documents in Re 5 CCCC, IL, Cases - 11 CH 12339, 08 CH 9977, 10 M1 015265, 11 M1 013782, 12 M1 012163

  509. Recovery of the Independence of the Federal Grand Jury Intervention Docket

  510. Edward Snowden ("ES") Exoneration and Criminal Conviction Agenda of the Oppressors of ES/Elimination of Criminal Surveillance of U.S. Citizens Intervention Docket

  511. Termination of Jewish Supremacist Extortion Labelled as "Federal Income Tax" Intervention Docket

  512. Chicago Police Bd Mtg of August 2015 Terminated Before RJM Could Access it - re Rekkia Boyd Protest

  513. ISMA Br. 4, AAA R. J. More's Address to the Chicago Police Board Mtg of 9/17/15

  514. Intervention of R. J More in Faulkner v Simko, CCCC, IL - 13 L8396 of Sept. 2015 (End Judicial Immunity, etc)

  515. SST for CPD Sgt. Wade of October, 2015

  516. SST for CPD Off. Darnall and Associates of October, 2015

  517. False Accusation of Antisemitism against RJ More from Dr. Caproni of Chi Pol Bd and RJM's Initial Response of 10/13/15

  518. Series of Documents Filed by RJ More in Daniggelis Mortgage Foreclosure from Jan 2011 thru Sept of 2015

  519. ISMA Abbreviated Profession of Faith/Fraternal Correction Template of October 2015

  520. RJ More's Voicemail to Chi Pol Bd Executive Assistant, Dr. Caproni of 10/15/15, Addressing Constitutional Objections to Antisemitic Accusation in re Sept. 2015 Address to Chi Pol Bd by RJM, in Arrangement in Which Calls Were Remaining Unanswered

  521. RJ More's Address to Chicago Police Board of 10/15/15

  522. Report of 10/21/15 Regarding RJ More's More Recent Endeavors to Eliminate Policy and Practice of Prevention of the Use of Electronic Recording Devices on Cook County, IL Property, Especially in Courtrooms

  523. Invitation to CCCC, IL Chief Judge T. Evans, CC, IL Sheriff T. Dart, CCSD Representatives... to Demonstrate Innocence If it Can Be Demonstrated in Regard to Deprivation of Use of Electronic Recording Devices in CCCC, IL Courtrooms and Buildings in General

  524. Invitation of 10/17/15 to CCCC, IL Judge G. Scully to Demonstrate Innocence If It Can Be Demonstrated in Ruling in "...Daniggelis" w/o Ruling on RJ More's Petition to Intervene

  525. Invitation of 10/17/15 to Former Chi Pol Bd Exec Dir D. Carney to Demonstrate Innocence If It Can Be Demonstrated in ...Jan or march of 2015

  526. Invitation of 10/17/15 to CCCC, IL Judge L Martin to Demonstrate Innocence If It Can Be Demonstrated of Charge of Official Misconduct in re Various Components of Adjudication of CCCC, IL Case # 11CH 12339

  527. Invitation of 10/17/15 to Law Clerk S. Conlon of CCCC, IL Judge L Martin to Demonstrate Innocence If It Can Be Demonstrated of Charge of Official Misconduct in Whatever Role he Played in re Various Components of Adjudication of CCCC, IL Case # 11CH 12339

  528. Invitation of 10/17/15 to IL App. Court First District Judge M.A. Mason to Demonstrate Innocence If It Can Be Demonstrated of Charge of Violation of 18 USC 242 in re Adjudication of CCCC, IL Case # 10CH ....

  529. Petition for Indictments to Federal Grand Jury Foreperson in Chicago, IL Regarding Deprivation of Use of Electronic Recording Devices in CCCC, IL Courtrooms and Buildings in General

  530. PR&S to J. Younes

  531. Intervention of R J. More in Daniggelis Mortgage Foreclosure of 10/13/15

  532. Petition for Indictment of ...

  533. Report of 10/../15 Regarding Endeavor to Present Evidence to Federal Grand Jury Foreperson in Chicago, IL

  534. Complaint of 10/../15 to Office of Inspector General of U.S. Department of "Justice" re Deprivation of Citizen access to Federal Grand Jury in Chicago, IL

  535. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  536. Complaint of 10/../15 to Office of Inspector General of State of IL in re...

  537. Complaint of 10/../15 to Office of Inspector General of Cook County, IL in re Prevention of Use of Electronic Recording Devices

  538. Complaint of 10/../15 to Office of Inspector General of Cook County, IL in re Priorities According to Which Cook County State's Attorney's Office Defends Cases

  539. Complaint of 10/../15 to State of IL Judicial Inquiry Board in re ...Activity Conducted by Judge L. Martin

  540. Complaint of 10/../15 to

  541. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re Criminal and Tortious Defense of Civil Cases

  542. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re Non-provision of Copy of Alleged Report of Board of Independent Review of April 2015 Report re Rojas Crimes

  543. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  544. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  545. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  546. Complaint of 10/../15 to Office of Inspector General of City of Chicago in re...

  547. Invitation to CCCC, IL, Judge E. O'Neil Burke to Demonstrate Innocence...

  548. FOIA to USDOJ Regarding Interference/Deprivation of Citizen Access to Federal Grand Jury

  549. FOIA Regarding City of Chicago 10/26/15 Off Streets Cleaning

  550. Notice of Motion of 11/5/15 in CCCC, IL Case # 11 CH 12339 and Petitions for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin, his Law Clerk in 2012/2013, IL Atty Gen L Madigan and Asst. IAG's Griffin and Conway and CCSA A. Alvarez and Asst. CCSA's Driscoll and Groah

  551. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin

  552. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against IL Atty Gen L Madigan and Asst. IAG's Griffin and Conway and CCSA A. Alvarez and Asst. CCSA's Driscoll and Groah

  553. Initial Component of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Conditional Institution of Criminal Charges Against Law Clerk of CCCC, IL, Judge L. Martin

  554. Invitation to Judge L. Martin, IAG and Asst. IAG's, CCSA and Asst. CCSA To Demonstrate Innocence ...of 10/17/12...

  555. First Superseding Component of 11/5/15 of Petition of 11/5/15 in CCCC, IL Case # 11 CH 12339 for Institution of Criminal Charges Against CCCC, IL, Judge L. Martin, IAG L Madigan et al and CCSA A Alvarez et al

  556. Notice of Motion of 11/6/15 in CCCC, IL, Case # 11 CH 12339

  557. Invitation to Judge L. Martin, To Demonstrate Innocence ...of 11/6/15...

  558. Partial Plenary Component of Petition for Institution of Criminal Charges ...Martin...11/5/15 -

  559. FOIA Regarding CCSD Prevention of ERD Use On Cook County, IL Property and Communications to Such Office in this Regard

  560. Report of 11/16/15 Regarding Developments in Retention of Administration of Just Recompense Project in re Government Crimes Perpetrated in re Adjudication of Case # 11 CH 12339, in CCCC, IL, Focused Upon Petitioning to Get Criminal Charges Instituted for Official Misconduct Against CCCC, IL J. L. Martin, et al, IAG L. Madigan, et al, & CCSA A. Alvarez et al

  561. Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning Court in GMAC v ...Daniggelis, et al Proposed Order of 11/16/15 in

  562. Report of 11/16/15 Regarding Developments in Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning to Get Criminal Charges Instituted for Official Misconduct Against CCCC, IL J. L. Martin, et al, IAG L. Madigan, et al, & CCSA A. Alvarez et al

  563. Proposed Order of Robert J. More of 11/16/15 in G.M.A.C. v ...Daniggelis, et al

  564. Proposed Verified Statement of 11/16/15 of Phone Answerer in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15, Inclusive

  565. Subpoena of 11/16/15 of Phone Answerer in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15, Inclusive

  566. Proposed Verified Statement of 11/16/15 of CCCC, IL Judge L. Martin in Room 101 of CCCC, IL Criminal Cts Bldg re Activity Conducted in Such Office from 11/5 - 11/9/15,

  567. Component of Conversation of 11/9/15 in re Institution of Criminal Charges Relating to Room 101

  568. Component of Conversation of 11/9/15 in re Institution of Criminal Charges Relating to Chancery Divison of CCCC, IL Court

  569. Retention of Administration of Just Recompense Endeavor, Focused Upon Petitioning Court in GMAC v ...Daniggelis, et al. Proposed Order of 11/16/15 in

  570. Affidavit of Marvin Faulkner re Illegal Siezure, etc. by CCSD Police of 11/4/15

  571. ISMA Government Criminality and Violence Report Bulletin re Illegal Seizure(s) of 11/4/15 of Non-capitulator to Nazism Marvin Faulkner

  572. FOIA Request in Re Illegal Seizure(s) of 11/4/15 of Marvin Faulkner

  573. ISMA Br. #4 AAA, R.J. More's Address to Chicago Police Bd of 11/19/15

  574. SST for CPD Off. Espinoza of November, 2015

  575. SST for LA Fitness, Canal St. Chicago, IL, Mgr Robert ... and Custodian Larry Hills of November, 2015

  576. SST for Bucktown Chicago, IL, Bestbuy Sales Associate David Diego of 11/18/15

  577. SST for USPS Clerk Lela ....November, 2015

  578. Report of 11/21/15 in re Proposed Intervention in G.M.A.C, v ...Daniggelis, et al.

  579. Report of 11/21/15 in re Intervention in re Illegal Seizure of Marvin Faulkner of 11/4/15

  580. Demand re Replacement of Present Jewish Supremacist Regulation of Summonsing of Collective Force of the Body Politic Arrangement with Regulation Warmblooded Individuals Can Accept

  581. ISMA Br. #4 AAA, R.J. More's Intervention into Issue of Cause of Death of Paul Wellstone

  582. ISMA Br. #4 AAA, R.J. More's Intervention into Issue of Cause of Death of Aaron Russo

  583. ISMA Br. #4 AAA, R.J. More's Intervention into Cause of Prosecution, Conviction and Death of Edgar Steele

  584. Demand re Replacement of "Regularity" in Presumption of Regularity in Government Activity in Which Regularity is Left Undefined w/ Definition of Regularity as "Accommodating of Jewish Supremacist Agenda, Accompanied by Correlative Defraudments of Legitimate Reliance Interests

  585. Disclaimer of RJ More in re Atty Lanre Amu

  586. Disclaimer of R.J. More in re Interaction w/ Ryan and Jacqueline of 11/21/15

  587. Disclaimer of R.J. More in re Dr. Chas Rice, Deceased

  588. Disclainer of R.J. More in re Professor Edward J. Murphy, Deceased

  589. SST for CCCC, IL D.C. Louisa

  590. Report re Motion Filings in Grif, Labl, Jack, Zeeh & Kelly Cases

  591. Report re USPS Encounter with LEO's of 11/22/15

  592. Complaint Against CCCC, IL CJ Evans and CCS Dart re Prohibition on Use of ERD's in RDC as of 11/23/15

  593. Invitation to Chaplain/Presbyter Blaise Cupich of 11/25/15

  594. Superior Service Testimonial of 11/25/15 for LA Fitness Custodian Larry Hills

  595. Challenges to Constitutionality of NDAA Section 1021, Ongoing Police Investigation, LEO and National Security Privileges

  596. SST for Bucktown, Chicago, IL, Bestbuy Mobile Section Sales Associate David Diego of 12/16/15

  597. SST for Wrightwood, Chicago, IL, Bestbuy Geek Squad Technician Nelson Delgado of 12/7/15

  598. SST for Canal St, Chicago, IL, Bestbuy Geek Squad Technician Josue of 12/9/15

  599. Report re Submission of Petitions for Indictments of CCCC, IL, Judge L. Martin, IAG L. Madigan, CCSA A. Alvarez, et al.

  600. SST for Compuxpress Partner A. Martinez

  601. Report re Petitions for Indictments of 12/17/15 in re Deprivation of Access to FGJ, Deprivation of Capacity/Prerogative to Produce Electronic Recording of Endeavor to Deliver Documents to FGJ, Deprivation of Names of Security Operatives Interfering with Citizen Access to FGJ, Execution of Orders Issued by Individuals Who Have Not Been Appointed by a Legitimate Holder of the Office of the POTUS

  602. Report to USDOJ OIG in re Deprivation of Access to FGJ, etc.on 12/17/15

  603. Invitation to Judge Mary Ann Mason to Demonstrate Innocence of Criminal Liability in re Her Adjudication of CCCC, IL, Case # 10 CH 22662

  604. Petition For Indictments to Federal Grand Jury in Chicago, IL, in re Violations of 18 USC 242 by Former Circuit Court of Cook County, IL ("CCCC") Judge Mary Ann Mason, CCCC, Judge Paul Beibel (Conditionally) of 12/17/15....

  605. Single Page Version of Petition For Indictments of Judge M.A. Mason et al...to Federal Grand Jury in Chicago, IL, of 12/17/15

  606. Report of 12/22/15 in re Processing of Petition for Indictment... M.A. Mason...

  607. Superior Service Testimonial for Best Buy Geek Squad Techician Kimberly Walker

  608. Documents Delivered to Judge L. Martin and Staff Regarding Developments Concerning RJM's Endeavor to Get Criminal Charges Instituted Against Judge L. Martin, IAG L. Madigan, CCSA A. Alvarez, et al in November 2015

  609. Voice Mail Delivered in GMAC et al v ...Daniggelis in Early a.m. on 12/21/15 re ...& 3rd Party Standing Burden of Court

  610. FOIA Request of 2/11/16 of USDOJ Regarding Entirety of Information Accessible to it &/or Any of its Agencies About Members of the u.s. of A. Population (As for Example the Information Included in a State ID), About Each and All of the Members of Such Entity and/or its Agencies

  611. FOIA Request of 2/11/16 of Il State Police Regarding Entirety of Information Accessible to it &/or Any of its Agencies About Members of the u.s. of A. Population (As for Example the Information Included in a State ID), About Each and All of the Members of Such Entity and/or its Agencies,

  612. FOIA Request of 2/11/16 of Cook County, IL, Sheriff’s Department Regarding Entirety of Information Accessible to it &/or Any of its Agencies About Members of the u.s. of A. Population (As for Example the Information Included in a State ID), About Each and All of the Members of Such Entity and/or its Agencies

  613. FOIA Request of 2/11/16 of City of Chicago, IL, Regarding Entirety of Information Accessible to it &/or Any of its Agencies About Members of the u.s. of A. Population (As for Example the Information Included in a State ID), About Each and All of the Members of Such Entity and/or its Agencies

  614. FOIA Request of 2/11/16 of USDOJ Regarding Entirety of Information Accessible to it &/or Any of its Agencies About Members of the u.s. of A. Population (As for Example the Information Included in a State ID, About Each and All of the Members of Such Entity and/or its Agencies

  615. FOIA Request of 2/11/16 of US DOJ, Regarding documents submitted, oral demands transmitted by RJ More, documents produced or received and/or processed with any reference to RJ More included wherein, or Verified Statement that information/documents and/or images, audio’s &/or videos provided in response to FOIA is the only information, documents … found in re … or Sum of ….

  616. FOIA Request of 2/11/16 of IL State Police, Regarding documents submitted, oral demands transmitted by RJ More, documents produced or received and/or processed with any reference to RJ More included wherein, or Verified Statement that information/documents and/or images, audio’s &/or videos provided in response to FOIA is the only information, documents … found in re … or Sum of ….

  617. FOIA Request of 2/11/16 of Cook County, IL, Regarding documents submitted, oral demands transmitted by RJ More, documents produced or received and/or processed with any reference to RJ More included wherein, or Verified Statement that information/documents and/or images, audio’s &/or videos provided in response to FOIA is the only information, documents … found in re … or Sum of ….

  618. ⦁ FOIA Request of 2/11/16 of City of Chicago, IL, Regarding documents submitted, oral demands transmitted by RJ More, documents produced or received and/or processed with any reference to RJ More included wherein, or Verified Statement that information/documents and/or images, audio’s &/or videos provided in response to FOIA is the only information, documents … found in re … or Sum of ….

  619. Component Petition to Intervene in GMAC, et al v Daniggelis, et al. of About 2/1/16, in CCCC, IL

  620. Ongoing Unclassified Report of 021116 of Project Delays/Adversities Encountered/Actionable as Unconstitutional/Criminal/Tortious Activity

  621. Report re RJM WST Bag Recovery/Missing $30

  622. ISMA SST for West Side Tech Security, Bldg Mnt., Librarians re Possession Recovery of RJM in W/e 2/6/16

  623. ISMA Report re Daniggelis Intervention of W/E 2/6/16

  624. ISAM Report re RJM Loss of Phone Service and Attempted Recovery in W.E. 2/6/16

  625. ISMA Br. #4, AAA, RJ More Disclaimers, Notice, Statement of Function and List of 021116

  626. Disclaimer for Gordon W. Watts

  627. Disclaimer for Lorenz Lessin

  628. More et al v Griffith et al, Case # 11 CH 12339 in CCCC, IL, Civil and Criminal Docket

  629. Docket Containing Documents Used and Processed in re The Pursuit of the Bringing to Justice of Illegal Siezing Cook County Sheriff Dept. Criminals, Criminal Judges, Attorney General and Minions, State's Attorney and Minions, Psychotropic Druggers et al, Demonstrating How Much Worse Present Kleptocratic Arrangement is than would be Arrangement in Stateless Society, Including Templates for Federal Indictments, State Indictments, Notices to Federal Grand Jury, Criminal Interferers with Independence of Fed Grand Jury

  630. Daniggelis/9/11/01 Insider Trading, Boston Marathon Bombing, NDAA 1021, Psychotropic Drugging Of Adversaries of Jewish Supremacist Genocide of the Goyim Agenda and Any and/or All of its Innumerable Aspects, Death of D. Duerson, Fluoridation of Municipal Water Supply, Bland/Young/Spencer Murders, Abuse of Summary Criminal Contempt,

* * * * Improved ALTERNATIVE Litigation * * *

    *** MASTER DOCUMENT LIST, updated as of 01 April 2009.
    *
Roman Catholic Litigation Chart.
    *
Presently Operative Exam Of Conscience.
NEW:     * The Cause of the World's Affllictions.
    1.
More, as next friend, Schiavo v. Schiavo.
    2.
More, et al. v. Monex, Inc., et al..
    3.
More v. Northshore Logistics Co. et al..
    4.
More v. City of Chicago, et al. (No. 06-C-6797).
    5.
More v. Obama for Senate Campaign, et al. (No. 08-CH-9978).
    6.
More v. USMS & Akal Security, et al.   (CCCC, IL Case No. 07-M-1017559).
    7.
More v. US Dept Of Labor   (US 7th Cir. Court of Appeals, Case No. 01-3224).
    8.
More v. Univ. of Notre Dame et al. (No. 309-CV-221).
    9.
18 U.S.C. 3332(a) INQUIRY into S. Sotomayor nomination.
tp     10.
Sotomayor-Lawsuit: Petition to have evidence submitted to Senate before vote.
    11.
Harry Brooks v. U.S. Atty. Northern Dist -Ill. (No09-cv-4682).
    12.
NEW CASE goes gere.
    13.
NEW CASE goes gere.
    14.
NEW CASE goes gere.
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