Out of the frying pan...into the fire: Dr. Sterling, Dr. Partyka, Dr. Dugat, all psychiatrists who are Ashkenazi-Jews How the hell can a facility that refuses to hire non-Jews as psychiatrists respect the
cultural needs of its non-Jewish clientele? Why the *$%@ doesn't NYSOHM worker
Janyce Jones say something about it? $100.00 says that I'll
be kicked out just like all the other Ashkenazi-run facilities that kicked me out
Dear Officer Deddo, 63 Precinct: I am in the process filing complaints
against a number of individuals who violated my constitutional rights at the psychiatric clinic that I attend. I am afraid
that these individuals will tell your precinct that I acted out and am in need of hospitalization.
I visited your precinct and spoke with Officer Bowland who assured me that if the police in your precinct did
not observe me "acting out", that they would not place me in a mental institution. New York State Mental Hygiene
Law §9.05 (http://codes.lp.findlaw.com/nycode/MHY/B/9/9.05); New York State Mental Hygiene Law §9.37 (http://codes.lp.findlaw.com/nycode/MHY/B/9/9.37); New York State Mental Hygiene Law §9.39 (http://codes.lp.findlaw.com/nycode/MHY/B/9/9.39). I am treatment-compliant and I have not acted out, either at the clinic or anywhere else. |
Cheryl D. Uzamere 1209 Loring Avenue Apt. 6B Brooklyn, NY 11208 Tel.: (718) 647-1708 Fax: (347) 227-0118 |
FAX | To: | Office Number | Fax Number/E-mail Address | Hon.
Barack H. Obama, President, USA John L. Wodatch,
Chief, ADA Mr.
Dennis Hayashi, Dir., Civil Rights, USDHHS Hon. David Paterson, Governor, New York State Hon. Michael Hogan, Commissioner, NYSOMH Richard F. Daines, MD, Comm., NYSDOH Janyce Jones, New York Regional Office, NYSOMH Hon. Michael Bloomberg, Mayor, NYC Carmen Acosta, Brooklyn Reg'l Dir., NYSDHR Bronx Regional Office; NYSDHR Albany Regional Office, NYSDHR Binghamton Regional Office, NYSDHR Buffalo Regional Office, NYSDHR Long Island Regional Office (Nassau), NYSDHR Long Island Regional Office (Suffolk), NYSDHR Lower Manhattan Regional Office, NYSDHR Upper Manhattan Regional Office, NYSDHR Peekskill Regional Office, NYSDHR Rochester Regional Office, NYSDHR Syracuse Regional Office, NYSDHR Catholic Diocese of Brooklyn Catholic Charities of Brooklyn and Queens Dr. Partyka, Dr. Sterling, Flatland Guidance Ctr. Stephanie Watrel, Therapist, Flatland Guidance Ctr. Arnold Winston, MD, Psychiatry, Beth Israel Med. | 1-202-456-1414 1-202-307-0663 1-202-619-0403 1- 518-474-8390 1-518-474-4403 1-518-473-5174 1-212-330-1664 1-212-788-3000 1-718-722-2856 1-718-741-8100 1-518-474-2705 1-607-721-8467 1-716-847-7632 1-516-538-1360 1-631-952-6434 1-718-722-2856 1-212-961-8650 1-914-788-8050 1-585-238-8250 1-315-428-4633 1-718-399-5900 1-718-722-6001 1-718-377-5755 1-718-377-5755 1-212-420-2555 | 1-202-456-2461 1-202-307-1197 1-202-619-3437 1-518-474-3767 1-518-474-2149 1-518-486-1858 1-212-330-6359 1-212-788-2460 1-718-399-5957 1-718-377-0752 1-718-377-0752 1-212-420-3442 | Subject: | Janyce
Jones – an Ashkenazi turd receptacle – willing to pick up all the illegal/unconstitutional crap that Ashkenazi-Jewish
psychiatric care providers drop on their worthless Goy/Nigger clientele | Date: | October 20, 2010 | To My Internet Readers: If you reviewed my website, you should know by
now what happened to me. Four (4) Ashkenazi-Jewish attorneys, namely, Allen E. Kaye, Harvey Shapiro, Bernard J. Rostanski
and Jack Gladstein facilitated my ex-husband's acts of immigration fraud and identity fraud. Their acts of fraud resulted
in my never receiving financial care from my husband, in my putting my children in foster care, and finally, hastened my descent
into mental illness. After nearly 30 years of trying, I was finally able to obtain
proof of the crimes that the aforementioned attorneys committed against me. I filed a number of lawsuits, all of which I lost
after they were adjudicated by judges who, like the Ashkenazi-Jewish attorney who tricked me, are Ashkenazi-Jews. I am now terrified of Ashkenazi-Jews. I have made enemies of so many of them, I try hard not
to talk to them about what my ex-husband's Ashkenazi-Jewish attorneys and their Ashkenazi-Jewish friends who are judges did
to my family. I have now laid the foundation for the rest of my story. Given that I have had so many problems with members of the Ashkenazi-Jewish community, I make
it my business to stay away from them, and not tell them about the crimes that were committed against my family by members
of their community. I did this at several psychiatric clinics, to ensure that the care I receive is not tainted by religious/cultural
bias by members of the Ashkenazi-Jewish community. I was referred by the New York
State Office of Mental Health to Catholic Charities' Flatlands Guidance Center. Once there, I made sure to ask its employees
not to refer me to any of its Ashkenazi-Jewish employees, based on MY BELIEF that I would receive better care from a person
who is not Ashkenazi-Jewish than from an Ashkenazi-Jew who has a bias based on the Ashkenazi-Jewish-Talmudic prohibition not
to report the crimes of Jews to non-Jewish secular authorities. Guess what? Three
members of Flatlands Guidance Center lied and tricked me into believing that they are not Ashkenazi-Jews. They are: 1) Monica
(don't know her last name); Dr. Sterling; and, 3) Dr. Partyka. These self-serving individuals really believe, really,
really, really believe, that their perverted, f__ked-up, narcissistic desire to be accepted and loved by the whole f__kin'
planet because they are Ashkenazi-Jews is a legal right – that is even more important than their clients' constitutional
right to privacy. These closet bigots also see no problem in not hiring non-Ashkenazi-Jews to provide psychiatric services
to Flatlands Guidance Center's disproportionate percentage of non-Ashkenazi-Jewish clients. In fact, even today, after
sitting next to me and attempting to "play friendly" with me, Monica admitted to me something she denied weeks
before -- that she is Ashkenazi. This mean that I spilled my guts about my legal problems with members of
the Ashkenazi-Jewish community to a person who is a member of the Ashkenazi-Jewish community. So now, here is this potential
enemy -- who, after violating my constitutional right to privacy based upon tricking me in the same manner that
the four Ashkenazi-Jewish attorney tricked me, now wants me to play the "stupid nigger" role and pretend that
I don't see that she is a goddamn liar and a violator of the U.S. Constitution. This is the part where Ashkenazi-Turd-Receptacle Janyce Jones comes in: Flatlands Guidance Center's supervisory,
who are, of course, Ashkenazi-Jews, will tell Ashkenazi-Turd-Receptacle Jones to kick me out. After all, I'm the lowest of
goy – I'm a schvartze with no rights that a constitutional-rights-violating-New-York-State-law-breaking Ashkenazi-Jew
need respect. Ashkenazi-Turd Receptacle Jones will then swallow all the crap that Flatlands Guidance Center dropped on me:
1) Flatlands Guidance Center's Ashkenazi-Jewish employee's violation of my constitutional right to privacy by hiding their
ethnicity and religion; and, 2) its glaring refusal to hire non-Ashkenazi-Jews to provide psychiatric services to Flatlands
Guidance Center's non-Ashkenazi-Jewish clients. If Monica, Dr. Sterling, Dr. Partyka
and Ashkenazi-Turd-Receptacle Jones still don't understand why I am so enraged that my constitutional right to privacy was
violated based on the aforementioned employees' act of fraud, then the only way that I can convince them is by dragging their
goy-disrespecting-asses to court. In the meantime, Monica, Dr. Sterling and Dr.
Partyka, the three non-goy-psychiatrist-hiring Ashkenazi-Jewish employees who lied about their identity and tricked me into
giving them information that I would never have given them had I known their ethnicity and religion up front – you don't
have to walk around wondering who will clean up the crap you regularly drop on your non-Ashkenazi-Jewish clients. Ashkenazi-Turd-Receptacle
Jones is right behind you, on her goy knees with her tongue stuck out, willing and able to catch all the shit you drop on
your worthless goy and nigger clients. If you shit on my constitutional right
to privacy, or violate the constitutional rights of others, remember: Being an Ashkenazi-Jew does not automatically confer victim
status. If you violate my constitutional right to privacy, you are the VICTIMIZER, not the VICTIM. What is more,
if I see that you have violated my constitutional rights, I will drag you in front of a judge, and I will kick your ass. There is no constitutional or other legal imperative that requires me to divulge information
to members of the Ashkenazi-Jewish community. So if any one of you who is a member of the Ashkenazi-Jewish community
believes that you have a right to know information that I don't what to tell you, then you are a fool, and you need to
be kicked in your head -- or your ass. I am available to do both in a court of law. I warn members of the Ashkenazi-Jewish community: So many of your members have hurt my family that I no longer
trust you. You can find irrefutable proof of my allegations throughout this website. If I choose not to divulge
certain information to you, respect my wishes and back off. You have been warned. |
|
State of New York Court of Claims ______________________________________ Cheryl D. Uzamere
Claim
Claimant,
Claim No.: -against-
JURY TRIAL DEMANDED
Defendant. ______________________________________ CLAIM I, Cheryl D. Uzamere, being duly sworn, state the following: 1) That the post office
address of the Claimant is 1209 Loring Avenue, Apt. 6B, Brooklyn, New York, 11208.
2) That this claim arises from the illegal acts and omissions of Defendant the State of New York. 3)
At all times hereinafter mentioned, Plaintiff was and still is a resident of the City of Brooklyn, County of Kings and State
of New York. JURISDICTION
4) This Court has jurisdiction over this action pursuant to New York State Court of Claims Act, Section
9, which says: “The court shall have jurisdiction: 1. To hear and determine all matters now pending in the said
court of claims. 2. To hear and determine a claim of any person, corporation or municipality against the state for the appropriation
of any real or personal property or any interest therein, for the breach of contract, express or implied, or for the torts
of its officers or employees while acting as such officers or employees, providing the claimant complies with the limitations
of this article.
5) This Court has jurisdiction over this action as it is an implied cause of action in the manner
of Brown vs. State of New York, 89 N.Y.2d 172, which stated that “The Court of Claims has jurisdiction
over claims against the state based upon violations of the New York State Constitution and is not limited to common law tort
causes of action. The claims based on violations of Article 1... §11...of the New York Constitution were sustained”,
and Bivens v. Six Unknown Named Agents of Federal Bureau of Narcotics, 403 U.S. 388 (1971), insofar as the Bivens
is a U.S. Supreme Court case that is binding of all courts within the United States, and was cited as an authority by the
New York State of Appeals. PARTIES
6) Defendant is the State of New York, by and through the tortious acts committed by the New York
State Division of Human Rights, and the New York State Office of Mental Health by its employee, __________ (see
Exhibit ). ALLEGATIONS/ASSERTIONS OF CLAIMANT 7)
Claimant asserts the following information is relevant and must be considered by this Court:
a) What Claimant considers to be Defendants' refusal to investigate Catholic Charities' practice of
hiring only Ashkenazi psychiatrists for its clinics even though Catholic Charities' Flatlands Guidance Center has a disproportionately
high percentage of clients who are non-Jewish, and/or, of African descent, and/or who are Christians;
b) What Claimant alleges to be Defendants' refusal to investigate Flatlands Guidance Center's psychiatrists'
violation of Claimant's right to privacy by tricking Claimant into believing that they are non-Ashkenazi-Jewish although they
are, in fact, Ashkenazi-Jewish;
c) What Claimant alleges to be Defendants' refusal to investigate Flatlands Guidance Center's refusal
to be create an environment that is culturally sensitive to its disproportionately high percentage of clients who are non-Ashkenazi-Jewish,
and/or Christians and/or of African descent.
8) Claimant asserts that the Flatlands Guidance Center's receives payments for services from Medicaid. 9)
Claimant asserts that Medicaid is funded by the New York City Human Resources Administration. 10) Claimant asserts
that the New York City Human Resources Administrations receives its funds from the New York State Office of Temporary and
Disability Assistance or other New York State agencies.
11) Claimant asserts that the New York State Office of Temporary and Disability Assistance receives
a block grant from the United States Department of Health and Human Services. 12) Claimant asserts that based on
the governmental agencies from which Catholic Charities receives its funds, that Catholic Charities does not have the right
to discriminate in hiring/employment based on the religion and race of applicants who apply for positions as psychiatrists
with Catholic Charities.
13) Claimant asserts that based on the hiring practices of the Catholic Charities' Flatlands Guidance
Center, its hiring practices are biased toward one specific religious cartel. 14) Claimant asserts that based on
the hiring practices of Catholic Charities' Flatlands Guidance Center, its hiring practices are in violation of the Sherman
Anti-Trust Act and New York State General Business Law Section 340, entitled “Contracts or Agreements for Monopoly
or in Restraint of Trade Illegal and Void.”
15) Claimant asserts that Catholic Charities is licensed by the Defendant the New York State Office
of Mental Health, and that as such, is beholden to and required to obey all of Defendant's laws. 16) Claimant
asserts that Catholic Charities, Diocese of Brooklyn is a domestic corporation that is registered with the New York State
Department of State, and as such, is beholden to obey the laws of New York State. 17) Claimant asserts that it is not
plausible that Catholic Charities would refuse to hire Catholics or other Christians as psychiatrists; and that
alleges instead, that since Catholic Charities' Flatlands Guidance Center only hires psychiatrists who are Ashkenazi-Jewish,
that a more powerful Ashkenazi-Jewish religious cartel ensures that the only psychiatrists who are allowed to work
for Catholic Charities' Flatlands Guidance Center are Ashkenazi-Jews. 18) Claimant admits that she filed a complaint
with the New York State Division of Human Rights; that Claimant's complaint with the aforementioned agency was determined
not to have a basis in fact or law, such that Claimant's only other legal recourse is to file a complaint with the New York
State Court of Claims. BACKGROUND FACTS 19) Claimant
asserts that on November 5, 2009, the Daily News, LP and staff writer Scott Shifrel published an article that libeled
Claimant as "wacko" and as "anti-Semitic." 20)
Claimant asserts that in response to the aforementioned newspaper article, Claimant filed a lawsuit for, inter alia, defamation
of character against the aforementioned entities.
21) Claimant asserts that on or around February 10, 2010, Claimant was informed by Defendant
New York State's social worker Laurie Velcimé that Claimant was found ineligible for services by the following
psychiatric service providers: 1) FEGS/Rockwell CDT, (718-488-0100); 2) Interfaith Medical Center CDT, (718-613-7401); 3)
St. Vincent Catholic Medical Center CDT, (718-485-7655); 4) New York Psychotherapy and Counseling (on Hendrix St., 718-485-2100);
4) New York Psychotherapy and Counseling (Linden Boulevard, 718-235-3100). 22) Claimant asserts that the individuals
employed at the aforementioned psychiatric services who found Claimant to be ineligible are Ashkenazi-Jews. 23) Claimant
asserts that on around May 10, 2010, Defendant's social worker Laurie Velcimé again attempted to apply for psychiatric
service providers to accept Claimant as a client, and that the vast majority turned down the aforementioned social worker's
request for Claimant to be a client.
24) Claimant asserts that the individuals employed at the aforesaid psychiatric service providers
who found Claimant to be ineligible are Ashkenazi-Jews.
25) Claimant assert that Defendant's intensive case manager Bridget Davis contacted the New York Psychotherapy
and Counseling Center located on Linden Boulevard in Brooklyn, New York, and made an appointment for Claimant to be
seen on a Monday.
26) Claimant asserts that she met with the aforementioned psychiatric service provider on a Monday;
and that the following day, was contacted by the New York Psychotherapy and Counseling Center and was told that a supervisor
named “Ms. Jacobs” told Claimant not to come back because Claimant was found to be ineligible for
their services.
27) Claimant asserts that “Ms. Jacobs” is an Ashkenazi-Jew.
28) Claimant asserts that when when she first became a client of Flatlands Guidance Center, she explained
to employees of the clinic that the Daily News and Ashkenazi-Jewish staff writer Scott Shifrel publicly
libeled Claimant as "wacko" and as "anti-Semitic”, and that she believed that it would not be in
her best interest to be assigned to a psychiatrist who is Ashkenazi-Jewish. 29) Claimant asserts that in September,
2010, the psychiatrist first assigned to Claimant was Dr. Sterling; that Claimant met with Dr. Sterling based on
the belief that Flatlands Guidance Center's staff did not say that he was not Jewish; that during Claimant's meeting with
Dr. Sterling, she explained that she wanted to make sure that he is not Jewish because she has a number of problems with members
of the Ashkenazi-Jewish community, and that did not wish to say anything to him that would offend him if he is Jewish. 30)
Dr. Sterling then admitted that he is Jewish, and asked Claimant if she liked him. 31) Claimant asserts that Claimant's
right to privacy was violated based on Dr. Sterling's refusal to divulge information regarding his ethnicity and his religion. 32)
Claimant asserts that on October 14, 2010, she met with Dr. Partyka; and that to avoid the mistake that she made with Dr.
Sterling, upon entering Dr. Partyka's room she immediately showed her the Daily News newspaper article that libeled Claimant
as “wacko” and as “anti-Semitic.”
33) Claimant asserts that Dr. Partyka told Claimant that her culture should not matter to me; and
that Claimant informed her that if Dr. Partyka refused to tell her whether or not she was Ashkenazi, she would assume that
she is and not continue speaking with her.
34) Claimant alleges that Dr. Partyka and Dr. Sterling hid their identities to lull Claimant into
believing that are not Ashkenazi-Jews, so that Claimant would divulge information regarding Claimant's legal problems with
members of the Ashkenazi-Jewish community, thereby giving the aforementioned psychiatrists the chance to intentionally misdiagnose
Claimant as having paranoid schizophrenia, so as to discredit Claimant's complaint against Ashkenazi-Jewish attorneys Allen
E. Kaye, Harvey Shapiro, Bernard J. Rostanski and Jack Gladstein.
35) Claimant strongly asserts that the Daily News, that is owned by Ashkenazi-Jew Mortimer Zuckerman
and its staff writer Scott Shifrel, who is also Ashkenazi-Jewish, has already discredited Claimant's account as
"wacko" and "anti-Semitic."
36) Claimant asserts that Defendant, by its employees violated Claimant's right to privacy, Claimant's
right to due process of law and Claimant's right to equal protection under the law, and that the aforesaid constitutional
torts give rise to the filing of an implied cause of action in the nature of Brown v. State of New York, 89 N.Y.2d
172, 674 N.E.2d 1129, 652 N.Y.S.2d 223, 65 USLW 2355 (1996).
37) Claimant respectfully prays that if this honorable Court refuses Claimant's request to have her
claim adjudicated by a judge who is African American, then in like manner, this Court must not assign a judge who is an adherent
of the Talmud/the Ashkenazi-Jewish faith.
38) Claimant asserts that based on that Haines v. Kerner, 404 U.S. 519 (1972), that "however
inartfully pleaded, are sufficient to call for the opportunity to offer supporting evidence", and that while this
Court “cannot say with assurance that under the allegations of the pro se complaint, which we hold to less stringent
standards than formal pleadings drafted by lawyers, it appears beyond doubt that the plaintiff can prove no set of facts in
support of his claim which would entitle him to relief...although we intimate no view whatever on the merits of petitioner's
allegations, we conclude that he is entitled to an opportunity to offer proof”, such that this Court must justly
conclude that the Claimant is entitled to an opportunity to offer proof of her allegations. 39) This Claim is served
and filed within 90 days of accrual.
By reason of the foregoing, Defendant damaged Claimant by violating Claimant's right to privacy, Claimant's right to due process
of law and Claimant's right to equal protection under the law; and that insofar as violation of constitutional law is a damage
unto itself, Claimant's prays this honorable Court to award damages to Claimant in the amount of $10,000.000.00, and for such
other and further relief as this honorable Court deems just and proper. Dated: Brooklyn, New York November
, 2010 VERIFICATION STATE OF NEW YORK ) COUNTY OF KINGS ) ss: I, Cheryl D. Uzamere, being duly sworn, deposes and says that Deponent is the Claimant in the within
action; that deponent has read the foregoing Claim and knows the contents thereof; that the same is true to Deponent's own
knowledge, except as to matters therein stated to be alleged upon information and belief, and that as to those matters, Deponent
believes it to be true. 
|
Cheryl D. Uzamere 1209 Loring Avenue Apt. 6B Brooklyn, NY 11208 Tel.: (718) 647-1708 Fax: (347) 227-0118 |
FAX | To: | Office Number | Fax Number/E-mail Address | Hon.
Barack H. Obama, President, USA John L. Wodatch,
Chief, ADA Mr.
Dennis Hayashi, Dir., Civil Rights, USDHHS Hon. David Paterson, Governor, New York State Hon. Michael Hogan, Commissioner, NYSOMH Richard F. Daines, MD, Comm., NYSDOH Janyce Jones, New York Regional Office, NYSOMH Hon. Michael Bloomberg, Mayor, NYC Carmen Acosta, Brooklyn Reg'l Dir., NYSDHR Bronx Regional Office; NYSDHR Albany Regional Office, NYSDHR Binghamton Regional Office, NYSDHR Buffalo Regional Office, NYSDHR Long Island Regional Office (Nassau), NYSDHR Long Island Regional Office (Suffolk), NYSDHR Lower Manhattan Regional Office, NYSDHR Upper Manhattan Regional Office, NYSDHR Peekskill Regional Office, NYSDHR Rochester Regional Office, NYSDHR Syracuse Regional Office, NYSDHR Catholic Diocese of Brooklyn Catholic Charities of Brooklyn and Queens Dr. Partyka, Dr. Sterling, Flatland Guidance Ctr. Stephanie Watrel, Therapist, Flatland Guidance Ctr. Arnold Winston, MD, Psychiatry, Beth Israel Med. | 1-202-456-1414 1-202-307-0663 1-202-619-0403 1- 518-474-8390 1-518-474-4403 1-518-473-5174 1-212-330-1664 1-212-788-3000 1-718-722-2856 1-718-741-8100 1-518-474-2705 1-607-721-8467 1-716-847-7632 1-516-538-1360 1-631-952-6434 1-718-722-2856 1-212-961-8650 1-914-788-8050 1-585-238-8250 1-315-428-4633 1-718-399-5900 1-718-722-6001 1-718-377-5755 1-718-377-5755 1-212-420-2555 | 1-202-456-2461 1-202-307-1197 1-202-619-3437 1-518-474-3767 1-518-474-2149 1-518-486-1858 1-212-330-6359 1-212-788-2460 1-718-399-5957 1-718-377-0752 1-718-377-0752 1-212-420-3442 | Subject: | Continued
attempts to render me persona non rata
and/or hospitalize me to prevent me from reporting Ashkenazi-Jewish attorneys' facilitation of immigration fraud and identity
fraud | Date: | October
18, 2010 |
Dear Mr. President: Before reading this correspondence,
I respectfully request that you (or your staff) review the exhibits that are attached to my letter. Reading my letter before
reviewing the exhibits may give you the impression that I suffer with paranoid schizophrenia (which should not matter since
I have a First Amendment right to petition the government for a redress of grievances). Reviewing the exhibits before reading
the letter will clearly establish that my allegations have their bases in truth. I
am an outpatient with a wonderful psychosocial clubhouse named Open House. It is part of the Catholic Charities of Brooklyn
and Queens. The program manager, Mr. Samuel James, is a caring individual who provides its clients with the empathetic, professional
care that mentally ill patients need. I am also an outpatient with Catholic Charities' Flatlands Guidance Center. Based on
the problems that I experienced with its psychiatrists Dr. Sterling and Dr. Partyka, I do not know how long Flatlands Guidance
will allow me to remain an outpatient. I noticed, albeit alarmingly, that the clinic has psychiatrists, but for reasons I
do not understand, Catholic Charities' Flatlands Guidance Center does not hire Catholics or any other Christians to be psychiatrists.
It also does not hire people of African descent to be psychiatrists. This is quite odd considering that the clinic has a large
clientele that I believe to be Christians and of African descent. It is my belief that this is not the doing of the Catholic
Church. When I first became a client, I explained to employees of the clinic that
the Daily News and Ashkenazi-Jewish staff writer Scott Shifrel publicly libeled me as “wacko” and as “anti-Semitic.”
As a result, I explained that it would not be in my best interest to be assigned to a psychiatrist who is Jewish. In September,
2010, the clinic first assigned me to Dr. Sterling. During my meeting with Dr. Sterling, I explained that I wanted to make
sure that he is not Jewish because I have a number of problems with members of the Ashkenazi-Jewish community, and I did not
wish to say anything to him that would offend him if he is Jewish. He then admitted that he is Jewish. When I became upset,
Dr. Sterling asked me if I liked him. I became frightened and ran out of his office. On
October 14, 2010, I met with Dr. Partyka. To avoid the mistake that I made with Dr. Sterling, upon entering Dr. Partyka's
room I immediately showed her the Daily News newspaper article that libeled me as "wacko" and as "anti-Semitic."
She said that her culture should not matter to me. I told her that if she did not tell me I would assume that she is Jewish
and not continue speaking with her. I told her that because of publicity caused by the Daily News article of November 5, 2009,
other Jews would see me as anti-Semitic. She then asked me if am anti-Semitic. I became upset and left Dr. Partyka's office.
Immediately afterward I realized that Catholic Charities' clinic only has psychiatrists who are Jews. I believe that because
of Catholic Charities' financial problems, they have made "a deal with the devil" by allowing Jews to violate employment
law by not hiring non-Jews because the Catholic Church needs the money. I respectfully
allege that Dr. Partyka and Dr. Sterling hid their identities to lull me into believing that they are not Jews and to hide
the fact that Christians and people of African descent are not allowed to be psychiatrists there. To hide this, as well as
to hide my continuing complaints against Ashkenazi-Jewish attorneys Allen E. Kaye, Harvey Shapiro, Bernard J. Rostanski and
Jack Gladstein, I fear that Dr. Partyka and Dr. Sterling will intentionally attempt to misdiagnose me as having paranoid schizophrenia,
have me admitted as an inpatient and evaluated by another Ashkenazi-Jewish psychiatrist who will then intentionally misdiagnose
me as having paranoid schizophrenia to discredit my complaint against Ashkenazi-Jewish attorneys Allen E. Kaye, Harvey Shapiro,
Bernard J. Rostanski and Jack Gladstein. The Daily News has already done it (see attached article). I am also afraid that
when I visit the New York City Human Resource Administration's job center at 30 Thornton Street in Brooklyn, New York, where
I plan to apply for a one-shot-deal, a supervisor who is Ashkenazi-Jewish will either deny or cause to be denied my request
so that I will be evicted, or honor my request in a manner that makes it impossible to pay to litigate my appeal against the
aforementioned attorneys. Lastly, I am afraid that I will eventually be blacklisted
again at the behest of another member of the Ashkenazi-Jewish faith at the clinic/psychosocial clubhouse where I am a client
based on the Talmudic doctrine law of the moser, a religious doctrine that prohibits Jews from reporting the crimes of fellow
Jews to secular authorities. The
following are some of the psychiatric facilities whose Ashkenazi supervisors blacklisted me: 1) FEGS/Rockwell CDT, (718-488-0100);
2) Interfaith Medical Center CDT, (718-613-7401); 3) St. Vincent Catholic Medical Center CDT, (718-485-7655); 4) New York
Psych. & Counseling Center (on Hendrix St., 718-485-2100); 4) New York Psychotherapy & Counseling (Linden Boulevard,
718-235-3100). New York State's Kingsboro Psychiatric Center's social worker Laurie Velcimé and ICM case worker Bridget
Davis can verify all the continuing day treatment centers that they contacted to request that I be made a client (718-221-7013;
718-221-7648). I do not believe that your office will help me, but that does
not negate my right to demand to be treat justly. |
|
|
|
|
Immediate Relative
Sponsorship form that was falsified by Ashkenazi Jewish attorneys who facilitated ex-husband's immigration/identity fraud
|
Proof that the name "Godwin Uzamere" does not exist anywhere in the United States
|
Correspondence from USCIS that Ehigie Edobor Uzamere is my ex-husband's real name (not "Godwin Uzamere")
|
Correspondence from USCIS that Ehigie E. Uzamere is the father of our child
|
NYS Supreme Court's recognition that Ehigie E. Uzamere is former husband's
name – not "Godwin Uzamere"
|
|
Birth certificate containing fake identity that facilitated by Ashkenazi
Jewish attorneys Allen E. Kaye, Harvey Shapiro, Bernard Rostanski and Jack Gladstein
|
Ashkenazi Jews' adherence to Talmudic doctrine law of the moser resulted in Daily
News and Scott Shifrel publishing a defamatory article about me (I filed a lawsuit against them for defamation – they
did not interpose an answer; awaiting Judge Parga's decision)
|
Informing on Jews Whom Commit Crimes By Rabbi Michael J. Broyde
|
|
Black/Dark Skin is the Sign of Ha Shem's Curse
|
Black/Dark Skin is the Sign of Ha Shem's Curse (Genesis XXXVI:7)
|
Halachic Command that One Must Love Jews One may hate a Gentile; See Daat Emet (see #s 12 and 13) (Don't be a
stupid schmo -- this "law" is not part of the U.S. Constitution)
|
|
|
|
|