thirstforjustice.tripod.com/grifdlinv11615.html                   

  1. D/L of 11/6/15 re Invitations

  2. Cover Letter of 11/6/15

  3. Invitation of 11/6/15 which is Reproduction of Invitation of 10/17/12

  4. Rest of Documents from 10/17/12





Robert J. More

P.O. Box 6926

Chicago, IL, 60680

608 445-5181, anselm45@gmail.com



11/6/15

To: Judge L. Martin,

Judge Martin, included in this collection of documents is an updated version of an invitation first delivered to you on or about 10/17/12 and versions of other documents delivered to you on or about such date. The entire collection of such documents then delivered to you can be accessed at: “thirstforjustice.tripod.com/grifdlinv101712.html”. All of the contents of that collection of documents are incorporated herein by reference as if fully set forth herein, except the date whereof is modified from 10/17/12 to 11/6/15 in regard whereto in cases in which no contemporary version of a given document has been included herein.

In particular, at this juncture invitation is herein extended to demonstrate that you have not incurred criminal liability pursuant to the provisions of 720 ILCS 5/33-3 in regard to your adjudication of CCCC, IL Case # 11 CH 12339, or else to simply confess your guilt in this regard, resign your office and begin to make restitution to society for any and all harm your activity has caused its members in regard to the matters this document concerns.

FTR, RJM possesses a record that a document titled “First Superseding Component of 11/5/15…Petition …R.J. More…Institute Criminal Charges….” was received at the office you now occupy between 15:30 and 15:55 on 11/6/15. If it has been so received and/or a copy of it is received from the Clerk’s Office before 9:00 on 11/9/15, such component of such document is now RJM’s presentation for 11/9/15 in regard to the matters this document concerns (“these matters”). If such document would not be received by then, then RJM would have to insist and would insist that such document posted at: “thirstforjustice.tripod.com/grifdlmartcrim11515fs.html”, along with documents referenced wherein at the URL’s posted in re whereto, respectively, constitute RJM’s position for any audience conducted on 11/9/15 in re these matters.



On behalf of everything warm-blooded, but obviously not by any express designation in re whereto, remaining committed to fighting the “no warmblooded throat left unslit agenda” unto my last breath,

Robert J. More          Rom. 12:18-21        





thirstforjustice.tripod.com/grifdlinv11615.html                   #2                                                                  

Invitation of 11/6/15 re Grif... to Demonstrate Non-incurrment of Sinful Culpability/Criminal Liability/Tort Liability/Liability for Duty Breaches Too Grave to Leave Perogative to Execute the Authority of a Judicial Office/Law License/Government Office in a position of public trust intact and operative, Via 1.) Adjudication of Case # 11 CH 12339 Attributable to Activity of Judge Leroy Martin, Jr. ("JLM") via the execution of innumerable affirmative acts, an enumeration of which will be provided in the near future, but which enumeration would have to begin with his refusal to adjudicate RJM's Motion to Stay Case Pending Procurment of Criminal Prosecution via 18 USC 242, and his denial of RJM's Motion for Appointement of Special Prosecutor w/o providing any explanation demonstrating that either of such rulings did not consitute (a) deprivation(s) of (a) Right Guaranteed by the Constitution ... under Color of Law, Providence permitting, 2.) any and all contribution to any and all deprivations of legitimate reliance interests perpetrated in the adjudication of 11 CH 12339 attributable to any and all activity conducted by the Law Clerk of JLM who has been conducting activity from June of 2011 until this date, in Room 2008 of the R. Daley Center, 3.) Defense of Case #11 CH 12339 Attributable to Asst. IAG Sean Conway, IAG Supervisor Gary Griffin and Illinois Attorney General Lisa Madigan, 4.) Defense of Case #11 CH 12339 Attributable to Asst. Cook County, IL State's Attorney ("CCSA") Eric Garcia, Asst. CCSA, Paul Groah, CCSA Supervisor Patrick Driscoll (if Driscoll has been the Supervisor of the Civil Torts Defense Section of the Office of the CCSA since March of 2011), CCSA Anita Alvarez and in Particular the Lying to the Court by Attorneys Asst. CCSA P. Groah and Asst. IAG S. Conway on 5/29/12, and Conway again later when Groah was not present, claiming that RJM had never filed the amended complaint which RJM later proved had been filed and seeking to prevent RJM from receiving the utility of the actual filing whereof, or in any case conducting activity such that the forseeable consequences whereof, would consist of such effect, and Garcia and Conway's positing opposition to RJM's Motion for Appointment of a Special Prosecutor in an arrangement in which the CCSA was representing individuals RJM was endeavoring to get adequately criminally punished and was otherwise subject to a substantial conflict of interest, and any and all supervisors responsible for such lying, and attempt to prevent the appointment of a special prosecutor, and for innumerable other offenses to be chronicled as circumstances permit.



Each of the recipients of this document, respectively,   is herein invited to demonstrate that none of the activity conducted by each, respectively, in regard to the matters this document concerns was a.) gravely sinful and/or venially sinful, and b.) not non-criminal in character as violating among other provisions of  the U.S. Code, those of  18 USC 242 and 720 ILCS 5/33-3 and c.) not non-tortious and correlatively, actionable, via either 42 USC 1983, and/or malicious defense of a civil case, tortious inference with various claims to consideration, abuse of process and/or otherwise tortious in ways the explication of which would necessarily be beyond the scope of this document.

The invitation(s) referenced herein (is) (are) extended until 10:00 a.m. on 10/19/12 for Judge Martin, his clerk, the representatives of the IAG and the CCSA referenced wherein to provide responses to the Invites and Proposed Stips or in the alternative, to request another 24 hours w/n which to provide such, renewable for good cause shown, indefinitely.


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Notice of 10/17/12 of Priority that No Safeguard Necessary to the Ensurement of the Adequate Protection of Any Legitimate Reliance Interest Would Ever have been nor, be, Left Out, of Any Institute of St. Michael the Archangel ("ISMA") Project Including that in Regard to which this Document is a Component Part, Including that No Unjustified Quid Pro Quo Ever Have Ended up in Any Such Type Project, Notwithstanding the Impossibility Inherent in the (Fallen) Human Condition that There Would be "Incidental Interconnectedness" in and of Various Agendas, Project Scripts and/or Matters in General

Notice of the type referenced in the title to this document is herein provided. Any input in regard to the matters concerned can be transmitted to any of the contact information instruments referenced on the home page for the website whose URL is included in the ULC of this document.



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Complaint Form re Activity Conducted by ISMA Members

Complaint Form re Activity Conducted by ISMA Members are accessible at the URL listed in the ULC of this document and all ISMA members are supposed to have copies of such available at all times.

Lamentably, attributable to the measure of corruption and criminality by which most all government activity in regard to which the members of the Exec. Committee of ISMA is plagued at this juncture in Amerika's continued descent into an ever deeper Talmudic-barbarity, evidence of alleged offenses attributed to any given ISMA member(s) cannot be presented by any ISMA member to any entity responsible for the prosecution of crime, as any participation in any such type endeavor would render any ISMA member(s) who would have to attend to such type matter(s) incapable of remaining fully engaged in fighting the Talmudic-barbaric crime (the as-of-yet unpunished components of which, of course, go back centuries) which has all but entirely destroyed not just this Country, but the world.

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Invitation to Resign of 10/17/12 and to voluntarily relinquish any claim to any pension funds accrued

On behalf of each and all of the victims of the defraudments of legitimate reliance interests referenced in the "Invitation of 10/17/12 to Demonstrate...." each of the individuals referenced in such document is herein invited to resign his or her office as of 10/17/12 and to voluntarily relinquish any claim to any pension funds accrued from activity conducted in such office and to voluntarily remit his or her law license to the ARDC.