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Re: Evidence regarding the Mr. Larry Bland and Mr. Donald Young homicides and the death of Mr. Nate Spencer, Which was Evidently Attributable to Homicide as Well, Even Though the Cause was Attributed Otherwise Between the Dates of 11/17 and 12/24 of of 2007

Initial, Abbreviated Component of Evidence Submitted to the CPD on 10/19/11, to be Augmented and/or Superseded as the Circumstances of Providence would Permit Regarding the Deaths Referenced herein Supra.

For reasons explained to some extent in the “Commentary Regarding the Presentation of Evidence to the CPD of 10/19/11 …Young”, which is posted at URL: “thirstforjustice.tripod.com/ybcomrepev101811.html”

  • , this document and whatever documents which accompany it, are being presented to the CPD, Homicide Division -51st and Wentworth Sts on 10/19/11 and demand is herein posited that a record be maintained by the CPD and any other City of Chicago entity which would ever receive any copy whereof, to be made available to various persons and entities upon demand wherefore regarding any and every human act - as such term is defined in any credible moral theology manual - ever executed by any human activity conductor(s), subsequent to its reception, in regard to the processing and/or resolution whereof, unto any juncture at which it would be procured via a court process procedure or any other method of procurement which would enable any member(s) of the warmblooded component of the population of the world to assess any and all utilization/non-utilization, application and/or processing, whereof.

    The complaint filed on 6/1/2010 in the Circuit Court of Cook County, IL in case # 10 CH 26622 contains wherein an overview of the factual predicates in regard to which this document is being submitted,which is posted at URL: ybcom61210

  • (see Doc. #... from the D/L of 10/19/11 (“thirstforjustice.tripod.com (herein after “th…m” )/ybcom612010.html”) in regard to the Young murder, but not in regard to the homicide of Bland, nor the evident homicide of Spencer.

    The letter to attorneys of 10/24/10 (see Doc. # … in D/L of 10/19/11(th…m/ybattlet102410.html))which is posted at URL: "thirstforjustice.tripod.com/ybattlet102410.html“

  • (see Doc. #... from the D/L of 10/19/11 (“thirstforjustice.tripod.com/ybattlet102410.html”) and the letter to CPD Detective R. McVicker of 12/5/10 (Doc. #... in D/L of 10/19/11 (th…m/ybletmccpd12511.html), which is posted at URL: "thirstforjustice.tripod.com/ybletmccpd12511.html“
  • (see Doc. #... from the D/L of 10/19/11 (“thirstforjustice.tripod.com (herein after “th…m” )/ybletmccpd12511.html”) provide further insights into the matters this document concerns.

    The Affidavit of L. Sinclair transmitted via facsimile on 4/1/2008 larry-sinclair-affidavit.pdf which is posted at URL: http://www.slideshare.net/ankeny/larry-sinclairaffidavitlarry-sinclairaffidavit

  • provides further insights into the matters this document concerns.

    The Wayne Madsen Reports describing the evidence of homosexual activity of Barry Soetoro (aka “Barack Obama”) (herein after “Soetoro”) and Rahm Emmanuel and the suppression of evidence of such by the viciously hostile to everything warmblooded, Edomite USDC for the NDI, Judge James Zagel, in the former IL Gov. R. Blagovich criminal trial, and the confiscation of business records of a Homosexual Club in Chicago, IL, chronicling the membership wherein by Soetoro and Emmanuel by U.S. secret service agents , and alleged communication to Mrs. N. J. Young re danger to her life due to her speaking openly about the cause(s) of her son’s murder from some member of the CPD, which is posted at URL: "http://thirstforjustice.tripod.com/ybdocssubcpd101911.html“

  • , provide further insights into the matters this document concerns.

    Evidence.. of priorities according to which activity conducted by Barry Soetoro has been conducted over the past 15 years rendering it very difficult for a substantial component of the citizenry of IL in which the voice of conscience is not altogether comatose to believe that he would refrain from endeavoring to have Larry Bland, Donald Young and/or Nate Spencer killed if he would understand that their remaining alive would foreseeably jeopardize Soetoro’s aspirations to get elected to the Office of POTUS, provided he would presume that any murders attempted would both be accomplished and that no legitimate investigation whereof would ever be conducte. (“provided…conducted”) includes, but is in no way limited to: 1. While a State of IL Senator, Soetoro led the fight to prevent the passage in the Illinois State Senate of the “Born Alive Infants Act, ensuring that doctors in IL could continue to commit infanticide against infants who would have survived an attempt to abort them while in the wombs of their mothers, 2. In 2007 or 2008, in Florida, Soetoro explained that the biggest regret that he had as a U.S. Senator was that he voted to have the federal government intervene to provide a remedy to stop the torture and murder of Teresa Schiavo from being perpetrated via the use of the Pinellas Park, FL, Police and Pinellas County, FL, Sheriff’s Departments, without whose cooperation, Mr. M. Schiavo and associates could never have completed such torture and murder, 3. The inclusion in the “Health Care” Bill rammed through Congress by the “Obama” Administration of what in effect constitute “death panels” which would issue directives to deny medical services to those classified by the members of such panels as being unworthy of life, 4. The positing of an argument in the Court of USDC for the D of C. Judge J. Bates that there is a prerogative in Article II of the Constitution of the u.s. of A. authorizing the Chief Executive of the u.s. of A. to maintain a private list of American Citizens that he considers to be “threats” and to execute such persons without any Court monitoring, supervision, intervention or adjudication of any given assassination or murder, 5. The non-provision of any unforged long form birth certificate demonstrating that Soetoro is eligible to occupy the Office of the POTUS.

    Evidence of priorities according to which activity conducted by Rahm Emmanuel has been conducted over the past 15 years rendering it very difficult for a substantial component of the citizenry of IL in which the voice of conscience is not altogether comatose to believe that he would refrain from endeavoring to have Larry Bland, Donald Young and Nate Spencer killed if he would understand that their remaining alive would foreseeably jeopardize Soetoro’s aspirations to get elected to the Office of POTUS, provided…conducted, includes but is in no way limited to: 1. Emmanuel was the Chief of Staff for Soetoro’s “Presidential Administration” until late in 2010, 2. Christopher Bollyn has chronicled Emmanuel’s past and the roots of his family in Israel’s terrorist network in his website, 3. To be continued.

    Evidence of priorities according to which activity conducted by Michelle Obama has been conducted over the past 15 years rendering it very difficult for a substantial component of the citizenry of IL in which the voice of conscience is not altogether comatose to believe that he would refrain from endeavoring to have Larry Bland, Donald Young and Nate Spencer killed if she would understand that their remaining alive would foreseeably jeopardize Soetoro’s aspirations to get elected to the Office of POTUS, provided…conducted, includes but is in no way limited to: 1. To be continued.

    Evidence of priorities according to which activity conducted by Jeremiah Wright has been conducted over the past 15 years rendering it very difficult for a substantial component of the citizenry of IL in which the voice of conscience is not altogether comatose to believe that he would refrain from endeavoring to have Larry Bland, Donald Young and Nate Spencer killed if he would understand that their remaining alive would foreseeably jeopardize Soetoro’s aspirations to get elected to the Office of POTUS, provided…conducted, includes but is in no way limited to: 1. To be continued.

    Evidence of priorities according to which activity conducted by Former Chicago Mayor R. Daley has been conducted over the past 15 years rendering it very difficult for a substantial component of the citizenry of IL in which the voice of conscience is not altogether comatose to believe that he would refrain from executing what affirmative acts he could execute to either help ensure that Larry Bland, Donald Young and Nate Spencer could be killed with impunity, if he would understand that their remaining alive would foreseeably jeopardize Soetoro’s aspirations to get elected to the Office of POTUS, or to ensure that any murders of either man would remain uninvestigated by the police department he controlled at the time of the murders, provided…conducted, includes but is in no way limited to: 1. To be continued.

    Evidence of the priorities according to which activity conducted by the Superintendents and members of the City of Chicago Police Department, as well as the entities which were in place in 2007 to prosecute and adjudicate police disciplinary matters have been conducted over the past 30 years which would engender confidence, if not practical certainty that no legitimate investigation of any murder which would be perpetrated against either Bland, Young or Spencer would ever be conducted includes but is in no way limited to: 1. Supt. J. Weis missed five consecutive police board meetings after Robert J. More addressed the issues this document concerns in the second quarter of 2010, 2. Supt G. McCarthy missed the Sept. of 2011 meeting after RJM posited questions to him which he refused to answer in the August, 2011 meeting and the meetings are now no longer at 3510 S. Michigan, but beginning in Oct. of 2011 are scheduled all over the City of Chicago. 3.To be continued.

    Evidence of the priorities according to which activity conducted by members of the Office of the Cook County, IL State’s Attorney has been conducted over the past 30 years which would engender confidence, if not practical certainty that no legitimate investigation and prosecution of any murder which would be perpetrated against either Bland, Young or Spencer would ever be conducted includes but is in no way limited to: 1. To be continued.

    Evidence of the priorities according to which activity conducted by members of the Circuit Court of Cook County, IL has been conducted over the past 30 years which would engender confidence, if not practical certainty that no legitimate judicial adjudication of any murder which would be perpetrated against either Bland, Young or Spencer would ever be conducted includes but is in no way limited to: 1. To be continued.

    Evidence of the priorities according to which activity conducted by members of the Illinois Appellate Court, First District has been conducted over the past 30 years which would engender confidence, if not practical certainty that no legitimate review of any judicial adjudication of any murder which would be perpetrated against either Bland, Young or Spencer would ever be conducted includes but is in no way limited to: 1. To be continued.

    Evidence of the priorities according to which activity conducted by members of the nominally Roman Catholic, de facto, Protestant, Archdiocese of Chicago, IL has been conducted over the past 30 years which would engender confidence, if not practical certainty, that no voice would ever be raised in opposition to any murder which would be perpetrated against either Bland, Young or Spencer includes but is in no way limited to: 1. To be continued.

    An X adjacent to a given entry indicates that the document corresponding whereto was included in what was submitted to the Cook County Sheriff on 3/16/11 for the purpose of accomplishing service of process in re the case this document concerns. Robert J. More

    Reception of Service of Documents on 10/19/11 at:City of Chicago, IL, Police Dept, 51st and Wentworth

    UNder penalty of perjury, I aver that I did receive the documents in which this reception of service is contained on 10/19/11 Name ______________________, Title, ____________________________, Badge # _________________________.

    (handwritten) & all documents listed in the "D/L of 10/19/11" adjacent to which there is inscribed an X