OPINIONS BELOW The opinions
concerning the three (3) petitions for writs of certiorari No. 92-5852, Uzamere v. United States, No. 11-8206,
Cheryl D. Uzamere v. Andrew v. Cuomo, Governor of New York, et al, and No. 09-5816, Cheryl D. Uzamere v. Allen E.
Kaye, PC., et al. were all denied, and the human rights torts, constitutional torts and federal crimes that were committed
by the Jewish Respondents were all ignored by President Obama, this Court's Jewish justices, and the judges and justices to
whom the Petitioner presented her criminal complaint. The opinion is reported at Pet. App. Exhibit A,
page 43. Taylor v. O'Grady, 888 F.2d 1189 (7th Cir. 1989) states that “justice must satisfy the appearance
of justice”, Levine v. United States, 362 U.S. 610, 80 S.Ct. 1038 (1960), citing Offutt v. United States,
348 U.S. 11, 14, 75 S.Ct. 11, 13 (1954).
The opinion of the Appellant's brief No. 13-2454 is reported at Pet. App. Exhibit A, page 41. The
human rights torts, constitutional torts and federal crimes that were committed by members of that Court's ethnoreligious
group that were mentioned in Appellant's brief were ignored.
The District Court's opinion is reported at Pet. App. Exhibit A, pages 1 - 39 and is unpublished.
JURISDICTION The date on which the United States
Court of Appeals decided Petitioner's case was April 11, 2014.
No petition for rehearing was filed in Petitioner's case.
The jurisdiction of this Court is invoked under 28 U.S.C. §1254(1). STATUTORY AND CASE LAW PROVISIONS INVOLVED
The U.S. Supreme Court case law provisions on which this Petition is based are as follows: Misprision of Felony/18 USC §4 Roberts v. United States, 445
U.S. 552 (1980) and 2) Branzburg v. Hayes, 408 U. S. 665, 408 U. S. 696 (1972). Establishment Clause/First Amendment Lemon v. Kurtzman, 403
U.S. 602 (1971), Everson v. Board of Education, 330 U.S. 1 (1947) and Board of Education of Kiryas Joel Village
School District v. Grumet 512 U.S. 687 (1994).
Proceeding in forma pauperis
28 U.S.C. § 1915
Discrimination based upon Mental Illness, Title II, ADA
Olmstead v. L.C., 527 U.S. 581 (1999); Tennessee v. Lane, 541 U.S. 509 Civil Right Act of 1964, Fifth Amendment, Fourteenth
Amendment Newman
v. Piggie Park Enterprises, Inc., 390 U.S. 400 (1968), Katzenbach v. McClung, 379 U.S. 294 (1964)
Courts Must Have the Appearance of Impartiality
and Disqualification of Judges
28 USC §§144, 455, Liteky v. U.S., 114 S.Ct. 1147, 1162 (1994). Taylor v. O'Grady, 888 F.2d 1189 (7th Cir. 1989).
Levine v. United States, 362 U.S. 610, 80 S.Ct. 1038 (1960), citing Offutt v. United States, 348 U.S. 11,
14, 75 S.Ct. 11, 13 (1954).
The Petitioner has indicated in the past that the Respondents have ignored her even though the Petitioner has provided proof
of her allegations. The Petitioner alleges that she has been the victim of a Judaic-law-oriented RICO, and that said laws
come from sources like the National Institute for Judaic Law, an institute that advocates the enslavement of Gentiles, and
especially blacks. Since Petitioner's last criminal complaint, the Jewish Respondents have committed more human rights violations,
more constitutional violations and more federal felonies against the Petitioner. The Petitioner alleges that this Court's
Jewish justices have treated their denials of certiorari as an excuse for their subsequent denials to enforce Petitioner's
human rights law,1 constitutional law and more federal felonies, including 18 USC §4, misprision of felony based on the
belief that they could trick Petitioner into believing that their denial of Petitioner's case also means denial of Petitioner's
rights as discretionary, which is ridiculous. Rights are not discretionary. They are only discretionary to this Court's Jewish
justices because Petitioner is mentally disabled, African American.
This Court's Jewish justices played a role in helping to establish the National Institute of Judaic Law. The NIJL highlights
Judaic law. Judaic law teaches that dark-skinned people are meant to be enslaved; that when Jews are confronted by heathens,
during court proceedings, Jews use subterfuge (deceit, lies, etc.) to circumvent them, and that Jews must not report the
crimes of fellow Jews to Gentiles and to the secular authorities.
Petitioner informs this Court that because of her belief that this Court's corruption has its basis in the encroachment of
the Jewish religion, she will file a petition against the United States, Israel and Nigeria with the United Nations' Office
of the High Commission for Human Rights and inform it of this Court's Judaic-oriented, anti-black corruption. STATEMENT OF THE CASE This case concerns a 35-year-ongoing
series of crimes that were committed against the helpless, disabled, African-American mother and her two (2) adult children
who are still the victims of a Judaic-religiously-oriented RICO, who members have dishonestly treated the hatred of lawbreaking,
Jews as a real crime), while the pedophile-minded-pity-junkie-Judaic-religiously-oriented RICO – including this court's
Jewish justices – are still protecting anti-black racist Mortimer Zuckerman, who continues to use the Daily News and
the internet to scorn Petitioner's mental illness in order to disseminate the lie regarding the identity of Petitioner's ex-husband
and child of the marriage's father,2 in much the same way that a pedophile makes reference to having been raped as a child in order to obtain public
pity, so that he can avoid prison and rape more children. Said pedophile-minded RICO's trick is to enforces, among other Jewish
religious doctrines, Law of the Moser. The RICO's sole purpose of Law of the Moser is to ensure that the
Petitioner is forced not to report the crimes that were committed against her and her family by the Jewish Respondents
to the secular law enforcement authorities.
Petitioner approaches this Court as a 35-year crime victim of the following human rights violations constitutional violations
and crimes: United Nation Human Rights Violations
Article Five – Petitioner and her children were subjected to cruel, inhuman or degrading treatment
or punishment at the hands of the Respondents and ignored by this Court; Article Six – Petitioner
and her children's right to recognition as persons before the law was violated by the Respondents and ignored by this Court;
Article Seven – Petitioner and her children's right to equal protection before the law was violated
by the Respondents and ignored by this Court; Petitioner right not to be publicly insulted and discriminated against as a
“wacko” because she has bipolar disorder, and Plaintiff's right to equal protection of the law was violated by
the Respondents and ignored by this Court; Article Eight – Petitioner was deprived of the right
to obtain an effective remedy by Government Respondent's competent national tribunals for acts Petitioner was falsely accused
of violating by the Respondents and ignored by this Court; Article Nine – Petitioner was subjected
to arbitrary arrest and detention by the Respondents and ignored by this Court; Article Ten –
Petitioner's right to full equality to a fair and public hearing by an independent and impartial tribunal, in the determination
of his rights and obligations and of any criminal charge against him was violated by the Respondents and ignored by this Court;
Article Eleven – Petitioner's right to be presumed innocent until proven guilty after being
charged with various penal offenses was violated by the Plaintiff. Plaintiff's right not to be held guilty of any penal offense
on account of any act or omission which did not constitute a penal offense under national or international law was violated
by the Respondents and ignored by this Court; Article Twelve – Petitioner was subjected to arbitrary
interference with her privacy, her family and her home by the Defendants. Plaintiff was subjected to attacks upon her honor
and reputation; Plaintiff's right to the protection of the law against such interference or attack was violated by the Respondents
and ignored by this Court; Article Thirteen – Petitioner's right to freedom of movement within
Defendants State of New York and City of New York was violated by the Respondents and ignore by this Court; Petitioner's family's
right, as a natural and fundamental group unit of American society, being entitled to protection by society and the State,
was violated by the Respondents, and ignored by this Court; Petitioner's right to equal access to public service in his country
was violated by the Respondents and ignored by this Court. Federal Felonies
Misprision of felony, 18 USC §4;
fraud, 18 USC §1001; identity theft, 18 USC §1028; aggravated identity fraud, 18 USC §1028A; deprivation of
rights under color of law (including being kidnapped, unlawfully imprisoned and blacklisted), 18 USC §242/42 USC §1985;
extortion, 18 USC §872§, blackmail, 18 USC §873; violation of Title II of the Americans With Disabilities Act;
violation of the Federal Rehabilitation Act of 1973; violation of the Civil Rights Act of 1964, Title VI, §601; violation
of the Free Speech Clause of the First Amendment; violation of the Establishment Clause of the First Amendment; violation
of the Petition Clause of the First Amendment; violation of the Due Process Clause of the Fifth and Fourteenth Amendments;
violation of the Notice Clause of the Sixth Amendment; violation of the Assistance of Counsel Clause of the Sixth Amendment;
violation of Petitioner's right of privacy with regard to the illegal dissemination of her psychiatric records, Petitioner
marriage history, Petitioner married name, and the non-content information associated with Petitioner's internet and telephone
accounts; violation of the Equal Protection Clause of the Fourteenth Amendment, intentional misuse of national security letters
(NSLs). Furthermore,
Petitioner also seeks to expose the fact that Respondent U.S. Department of Homeland Security has had knowledge of the correct
identity, and has been in possession of the identification documents for Respondent Ehigie Edobor Uzamere for well over thirty
(30) years. Respondent the United States of America, along with the rest of the Respondents, owed Petitioner and her children
the duty to use the aforementioned documentation regarding Respondent Ehigie Edobor Uzamere's identity to protect Petitioner
and her children from being victims of fraud, immigration fraud, aggravated identity theft and victims of Petitioner's inability
to obtain spousal and children support based on Petitioner and her daughter having the legal right to bear Respondent Ehigie
Edobor Uzamere's correct name. However, rather than comply with the law, the Respondents, in particular, the Jewish Respondents,
engaged in a course of conduct that violated Petitioner rights and the rights of her daughter, Tara, for the sole purpose
of preventing Petitioner from filing complaints against hateful, racist, dishonest, Jewish immigration attorneys Allen E.
Kaye, Harvey Shapiro and Jack Gladstein. Respondents' criminal conduct deprived them then, and continues to deprive Petitioner
and her family of the right to bear Respondent Ehigie Edobor Uzamere correct African name, and continues to condemn Petitioner
and her family to the same deprivation of the knowledge of African bloodline indicators that racist Jews and racist white
Christians forced upon Petitioner's African ancestors. Judaic Law –
As taught by the National Institute for Judaic Law Plan
for Judaic Law: “But now, with the rise of Judaism in the halls of power, we are looking at a return to Old
Testament state-religion. Particularly, given the strain of Orthodox Judaism in ascendance, we are looking toward a re-unification
of church and state, with priestly enforcement of Old Testament and Talmudic commandments . . . In November 2002, the American
Orthodox Jewish community held a kosher dinner in the Supreme Court building to celebrate the establishment of the National
Institute for Judaic Law. The dinner was attended by 200 people, including three Supreme Court Justices. The purpose of the
Institute is to introduce Talmudic laws into the US legal system and law schools. It is thus the clear civic duty
of every American to become intimately acquainted with the Talmud. (http://www.come-and-hear.com/editor/america_1.html). Death
Sentence Endorsed Against Christians Today: “The Noahide Laws promise deadly consequences for Christians. .
. Furthermore, Lord God tasked the Jews to enforce the seven Noahide Commandments, and to enforce them with liberal use of
the death penalty (emphasis added). . .(http://www.come-and-hear.com/editor/america_1.html).
Law of the Moser; Jews Must Not Report the Crimes of Fellow Jews to Gentiles or Secular Law Enforcement
Authorities Informing
on Fellow Jews Who Commit Crimes, Rabbi Michael J. Broyde – “. . .the Talmud recounts - in a number of places
- that it is prohibited to inform on Jews to the secular government, even when their conduct is a violation of secular
law. . .” (http://www.come-and-hear.com/editor/moser-broyde/index.html). Stoolie
Is Dead to His Daddy, New York Post, Kate Sheehy, July 28 2009 – The father, citing
“the Talmudic Law of Moser that prohibits a Jew from informing on another Jew to a non-Jew” — renounced
his son from the pulpit at his synagogue in Deal, NJ, on Saturday, the site said.
Silence and self-rule: Brooklyn's Orthodox child abuse cover-up, Zoë Blackler, New York, The Guardian, Thursday
29 March 2012 – “When Mordechai discovered his mentally disabled child was being molested, he reported
the crime to the police. A local man was arrested and charged with repeatedly raping the boy in their synagogue's ritual bath.
When news of the arrest got back to their Brooklyn community, the neighbors launched a hate campaign. But the object of their
anger wasn't the alleged perpetrator, Meir Dascalowitz, it was the abused boy's father. For the last two years, Mordechai
says he's been hounded by his community. The minute this guy got arrested I started a new life, a life of hell, terror, threat,
you name it. . . As consistent as the tales of cover up are those of community intimidation, where victims are branded a moser
– an informer – excluded from school, spat on in synagogue, their families threatened and harassed by supporters
of the accused. (http://www.theguardian.com/world/2012/mar/29/brooklyn-orthodox-jews child-abuse-cover-up-feature).”
Gentiles are Inferior to Jews:
Come and Hear: Death Penalty and Talmud Law, US v. Talmud Law: “Talmud law insists on
unequal justice under law. Talmudic law holds there is one law for Jews, and one for Gentiles. This is not inconsistent with
the Old Testament, in which LORD God decrees that Jews should not enslave other Jews: Gentiles are the proper slaves of Jews.
. .Gentiles are easy to convict. . .(http://www.come-and-hear.com/editor/capunish_4.html). Also
in “Gur Aryeh” on the portion of Matot (page 164 s.v. v'ein ha'goyim) it is written: "...and this is what
they said 'You are called men and the nations are not called men, “for the difference that exists between the animal
world and man exists within you exceedingly, but the nations are not 'men,' for their souls are immersed in the material,
associated with the materialistic animal world, and this matter is clear.” http://www.come-and-hear.com/supplement/so-daat-emet/en_gentiles5.html (emphasis added).
Blacks Are Meant to Be Enslaved
Artsot Ha-Hayyim, page 52a, 52b: “In 1992 a book was published by a leading member of the Satmar
community entitled Artsot Ha-Hayyim. On p. 52 he explains, and quotes other rabbis, that the reason Abraham Lincoln was killed
was because he freed the blacks. this is also the reason why Kennedy was killed, i.e. because he was good to the blacks. He
continues by saying that this will be the fate of any who adopt a progressive attitude towards blacks, because they
are meant to be enslaved. Ham's curse.” http://www.ottmall.com/mj_ht_arch/v15/mj_v15i20.html#CDX. The
Legends of the Jews - Ginsburg, Vol. 1, p. 169: “The descendants of Ham through Canaan therefore have
red eyes, because Ham looked upon the nakedness of his father; they have misshapen lips, because Ham spoke with his lips to
his brothers about the unseemly condition of his father; they have twisted curly hair, because Ham turned and twisted
his head round to see the nakedness of his father; and they go about naked, because Ham did not cover the nakedness of his
father.” Midrash
Rabbah (Soncino) Vol. 1, p. 293: “AND HE SAID: CURSED BE CANAAN (Breishit 9:25): (Commentary omitted)...R.
Huna also said in R. Joseph's name: You [i.e. Noah is speaking to Ham) have prevented me from doing something in the dark
[i.e. cohabiting with his wife], therefore your seed will be ugly and dark-skinned. R. Chiyya said: Ham and the dog
copulated in the Ark, therefore Ham came forth black-skinned while the dog publicly exposed its copulation.” Use of Subterfuge to Deceive
Gentiles During Court Proceedings: “Where a suit arises between an Israelite and a heathen, if you can
justify the former according to the laws of Israel, justify him and say: 'This is our law'; so also if you can justify him
by the laws of the heathens justify him and say [to the other party:] 'This is your law'; but if this can not be done, we
use subterfuges to circumvent him.” (Babylonian Talmud, Tractate Baba Kamma, Folio 113a, http://www.come-and-hear.com/babakamma/babakamma_113.html).
Talmud Violates African-American Petitioner's 1st Amendment Rights
“The establishment of religion”' clause of the First Amendment means at least this: Neither a state nor the Federal
Government can set up a church.” Everson v. Board of Education. This Court's Jewish justices and the Jewish
Respondents enforced the Judaic doctrine Law of the Moser, a doctrine whose very intent is to prevent the reporting of lawbreaking
Jews to the secular authorities. Talmud
Violates African-American Petitioner's 5th Amendment Rights
This Court's Jews and the Jewish Respondents blocked Petitioner's passage to go to court to prevent Petitioner from filing
criminal and civil complaints against their law-breaking Jewish friends. Talmud
Violates African-American Petitioner's 6th Amendment Rights
In Gideon v. Wainwright, supra, in which this Court held that the Sixth Amendment's right to the assistance of counsel
is obligatory upon the States, we did so on the ground that 'a provision of the Bill of Rights which is 'fundamental and
essential to a fair trial' is made obligatory upon the States by the Fourteenth Amendment.' 372 U. S. at 342. Talmud Violates African-American Petitioner's 14st Amendment Rights “. . .nor shall any State deprive
any person of life, liberty, or property , without due process of law; nor deny to any person within its jurisdiction the
equal protection of the laws.” See Tennessee V. Lane (02-1667) 541 U.S. 509 (2004) 315 F.3d 680, affirmed.
This Court's Justices and the Jewish Respondents used Petitioner's mental illness to disparage her criminal and civil
complaints to prevent Petitioner's complaints against the lawbreaking Jews from being believed. Federal Statutes -- Title II of the Americans With Disabilities Federal Rehabilitation Act of 1973 “The Supreme Court held in Olmstead
v. L.C., 527 U.S. 581 (1999), that “[u]njustified isolation . . . is properly regarded as discrimination based
on disability,” observing that “institutional placement of persons who can handle and benefit from community settings
perpetuates unwarranted assumptions that persons so isolated are incapable of or unworthy of participating in community life.”
527 U.S. at 597, 600. The “integration mandate” of Title II of the American with Disabilities Act, 42 U.S.C. §12101
et seq., and Section 504 of the Rehabilitation Act, 29 U.S.C. §791 et seq., as expressed in federal regulations and Olmstead,
requires that when a state provides services to individuals with disabilities, it must do so “in the most integrated
setting appropriate to their needs.” The “most integrated setting,” according to the federal regulations,
is “a setting that enables individuals with disabilities to interact with non-disabled persons to the fullest extent
possible.” 28 C.F.R. §35.130(d); 28 C.F.R. pt. 35 app. A. 42
USC §1983 – Civil Action for Deprivation of Rights 42 USC §1985 - Conspiracy to Interfere with Civil
Rights
“Every person who, under color of any statute, ordinance, regulation, custom, or usage, of any State or Territory or
the District of Columbia, subjects, or causes to be subjected, any citizen of the United States or other person within the
jurisdiction thereof to the deprivation of any rights, privileges, or immunities secured by the Constitution and laws, shall
be liable to the party injured in an action at law, suit in equity, or other proper proceeding for redress, except that in
any action brought against a judicial officer for an act or omission taken in such officer’s judicial capacity, injunctive
relief shall not be granted unless a declaratory decree was violated or declaratory relief was unavailable. . .If two or more
persons in any State or Territory conspire to deter, by force, intimidation, or threat, any party or witness in any court
of the United States from attending such court, or from testifying to any matter pending therein, freely, fully, and truthfully,
or to injure such party or witness in his person or property on account of his having so attended or testified, or to influence
the verdict, presentment, or indictment of any grand or petit juror in any such court, or to injure such juror in his person
or property on account of any verdict, presentment, or indictment lawfully assented to by him, or of his being or having been
such juror; or if two or more persons conspire for the purpose of impeding, hindering, obstructing, or defeating, in any manner,
the due course of justice in any State or Territory, with intent to deny to any citizen the equal protection of the laws,
or to injure him or his property for lawfully enforcing, or attempting to enforce, the right of any person, or class of persons,
to the equal protection of the laws. . .the party so injured or deprived may have an action for the recovery of damages
occasioned by such injury or deprivation, against any one or more of the conspirators.” See Haddle V. Garrison
et al, 525 U.S. 121 (1998).
Federal courts recognize blacklisting as a cause of action. In the lawsuit Castillo v. Spiliada Maritime Corporation
MV, 937 F. 2d 240, the United State Court of Appeals for the Fifth Circuit stated that “. . .Petitioners have offered
substantial evidence that they were coerced into agreeing to the settlements with threats that charges would be filed against
them with the POEA and that they would be blacklisted. As the threats of blacklisting endangered the possibility of future
employment in their established trade, Petitioners reasonably could have been intimidated into settling.” In the lawsuit
Duckworth v. Pratt & Whitney, Inc., 152 F.3d 1 (1st Cir. 1998), the United States Court of Appeals for the First
Circuit stated that “As both Duckworth and the Secretary of Labor persuasively argue, the achievement of these objectives
would be frustrated by adopting Pratt & Whitney's interpretation. That interpretation would permit an employer to evade
the Act by blacklisting employees who have used leave in the past or by refusing to hire prospective employees if the employer
suspects they might take advantage of the Act.” The United States Court of Appeal's use of the term “leave”
refers to medical leave. The United States Court of Appeals use of the term “Act” refers to the Family and Medical
Act of 1993. In the case Davis v. Paul, et al, 505 F.2d 1180, the United States Court of Appeals for the Sixth circuit
stated that “Few things are as fundamental to our legal system as the presumption of innocence until overcome by proof
of guilt beyond a reasonable doubt at a fair trial. The dissemination of the flier in the case at bar is in the face of the
presumption of innocence, disregards the Due Process Clause and is based on evidence that is not probative of guilt. Condemning
a man to a suspect class without a trial and on a wholly impermissible standard, as in the case at bar, offends the very essence
of the Due Process Clause, i.e., protection of the individual against arbitrary action. Slochower v. Board of Education,
350 U.S. 551, 559, 76 S.Ct. 637, 100 L.Ed. 692 (1956); Peters v. Hobby, 349 U.S. 331, 351-352, 75 S.Ct. 790 (1955)
(Douglas, J., concurring.) As said by Mr. Justice Black in his concurring opinion in Joint Anti-Fascist Refugee Committee
v. McGrath, 341 U.S. 123, 144-145, 71 S.Ct. 624, 634 (1951): 'Our basic law, however, wisely withheld authority
for resort to executive. . .condemnations and blacklists as a substitute for imposition of legal types of penalties by
courts following trial and conviction in accordance with procedural safeguards of the Bill of Rights.'” The United States
Equal Employment Opportunity Commission's, (EEOC) Office of Legal Counsel the Americans with Disabilities Act of 1990 and
the Family and Medical Leave Act of 1993 overlap, and that where employees are concerned, “ADA Title II covers all public
employers without regard to the number of employees.” By this action, Petitioner seeks to put an end to New York State's
practice of blacklisting the Petitioner by refusing to provide her with outpatient psychiatric care and accommodations required
to be provided by the New York State Unified Court System as its courts are covered under Title II of the Americans With Disabilities,
and by ending the corporate Respondents' use of the media to encourage members of the not-for-profit psychiatric outpatient
community to blacklist the Petitioner by publicly denigrating her because of symptoms of her mental illness that were publicized
by government and corporate Respondents. This Court's Jewish justices and the Jewish Respondents black listed the Petitioner
based on her being a black Gentile. Commission of RICO Crimes The courts of Respondent the United
States of America recognize that obstruction of justice caused by racketeering influenced, corrupt organizations is an injury.
RICO laws were successfully cited in NOW v. Scheidler, 510 U.S. 249, 114 S. Ct. 798, 127 L.Ed. 2d 99 (1994), a suit
in which certain parties, including the National Organization for Women, sought damages and an injunction against pro-life
activists who physically block access to abortion clinics. Amazingly, the Court held that a RICO enterprise does not
need an economic motive, and that the Pro-Life Action Network could therefore qualify as a RICO enterprise. This Court's Jewish
justices and the Jewish Respondents formed a RICO for the sole purpose to working as a team to ensure that Petitioner is never
able to file any complaint against the lawbreaking Jews. National Security
Letters
“The Director of the Federal Bureau of Investigation, or his designee in a position not lower than Deputy Assistant
Director at Bureau headquarters or a Special Agent in Charge in a Bureau field office designated by the Director, may: (1)
request the name, address, length of service, and local and long distance toll billing records of a person or entity if the
Director (or his designee) certifies in writing to the wire or electronic communication service provider to which the request
is made that the name, address, length of service, and toll billing records sought are relevant to an authorized investigation
to protect against international terrorism or clandestine intelligence activities, provided that such an investigation of
a United States person is not conducted solely on the basis of activities protected by the first amendment to the Constitution
of the United States; and (2) request the name, address, and length of service of a person or entity if the Director (or his
designee) certifies in writing to the wire or electronic communication service provider to which the request is made that
the information sought is relevant to an authorized investigation to protect against international terrorism or clandestine
intelligence activities, provided that such an investigation of a United States person is not conducted solely upon the basis
of activities protected by the first amendment to the Constitution of the United States.” in the stipulation and order
regarding the case Doe et al. v. Holder, et al it says: “3) Petitioner John Doe is hereby permitted to identify himself
and his company as the recipient of the NSL that has been the subject of this litigation. Petitioners ACLU and ACLU Foundation
may publicly disclose this information as well. In addition, the Government acknowledges that Petitioners may discuss matters
and information that have been filed without redaction on the public docket in this case; 4) Petitioners are also permitted
to publicly discuss Petitioner Doe's personal background, background about his company, the services Doe generally provided
to his clients, and his type of clientele generally, including (a) the information that is redacted in the public filing of
the Third Declaration of John Doe, dated August 21, 2009, Paragraph 1; (b) the information that is redacted in the public
filing of the Second Declaration of John Doe, dated September 8, 2006, Paragraph 4; and (c) the information that is redacted
in the public filing of the Second Declaration of John Doe, dated September 8, 2006, Paragraph 37. . . 6) Nothing in this
Stipulation shall affect Petitioner Doe's right and Petitioners ACLU and ACLU Foundation's right, if any, to petition in
the future under 18 U.S.C. § 3511(b) (or an order modifying or setting aside the nondisclosure requirement
imposed in connection with the NSL served on Petitioner Doe.” Doe, et al v. Holder, et al, 04 Civ. 2614
(VM). This Court's Jewish justices and the Jewish Respondents order the non-content-information regarding Petitioner's telephone
calls be recorded in order to take notice of damning calls to my psychiatrist to be used to blackmail the Petitioner
and prevent her from filing complaints against the lawbreaking Jewish Respondents. Petitioner
Case Is Eligible for the Continuing Violations Doctrine
This Court has jurisdiction over the action pursuant to Morgan v. National Railroad Passenger Corporation, DBA Amtrak,
232 F.3d 1008 (November 8, 2000) with regard to the continuing violations doctrine, in which the U.S. Supreme Court stated
in its decision that “the continuing violations doctrine. . .allows courts to consider conduct that would ordinarily
be time barred "as long as the untimely incidents represent an ongoing unlawful. . .practice. The district court's reliance
on Galloway was mistaken. This court has never adopted a strict notice requirement as the litmus test for application of the
continuing violation doctrine; in fact, in Fiedler v. UAL Corp., 218 F.3d 973 (9th Cir. 2000), we explicitly rejected
such an approach from the Fifth Circuit. See id. at 987 n.10. Fiedler examined Berry v. Board of Sup'rs of L.S.U.,
715 F.2d 971 (5th Cir. 1983), a case which involved equal pay based upon gender discrimination, where the Fifth Circuit created
a multi-factor test for determining whether discrete acts of harassment are closely related enough to satisfy the continuing
violation theory. The Berry court's final factor, "perhaps of most importance," asked whether the harassing act
"should trigger an employee's awareness of and duty to assert his or her rights.” Berry, 715 F.2d at 981.
We rejected the Berry analysis, holding that test was not “applicable in determining the continuation of a hostile
environment.” Fiedler, 218 F.3d at 987 n.10.
In tort law, if a Petitioner commits a series of illegal acts against another person, or, in criminal law, if someone commits
a continuing crime (which can be charged as a single offense), the period of limitation begins to run from the last act in
the series. In the case of Treanor v. MCI Telecommunications, Inc., the U.S. Court of Appeals for the Eighth Circuit
explained that the continuing violations doctrine "tolls the statute of limitations in situations where a continuing
pattern forms due to [illegal] acts occurring over a period of time, as long as at least one incident
. . . occurred within the limitations period. H.R.
40 Commission to Study Reparation Proposals for African-Americans Act (as it concerns the African Holocaust/The
Maafa) Commonly
known as the “African Reparations Bill”, it was promulgated by African-American Congressman John Conyers “To
acknowledge the fundamental injustice, cruelty, brutality, and inhumanity of slavery in the United States and the 13 American
colonies between 1619 and 1865 and to establish a commission to examine the institution of slavery, subsequently de jure and
de facto racial and economic discrimination against African-Americans, and the impact of these forces on living African-Americans,
to make recommendations to the Congress on appropriate remedies, and for other purposes.” Implied Cause of Action; Persons can Sue Person for Commission of a Constitutional Tort “For the reasons set forth below,
I am of the opinion that federal courts do have the power to award damages for violation of 'constitutionally protected interests'
and I agree with the Court that a traditional judicial remedy such as damages is appropriate to the vindication of the personal
interests protected by the Fourth Amendment.” See Bivens v. Six Unknown Named Agents of Federal Bureau of Narcotics,
403 U.S. 388, 91 S. Ct. 1999; 29 L. Ed. 2D 619; 1971 U.S. Lexis 23; Correctional Services Corporation, v. John E. Malesko,
it says: “In the decade following Bivens, we recognized an implied damages remedy under the Due Process Clause of the
Fifth Amendment, Davis v. Passman, 442 U. S. 228 (1979), and the Cruel and Unusual Punishment Clause of the Eighth
Amendment, Carlson v. Green, 446 U. S. 14 (1980). In both Davis and Carlson, we applied the core holding of Bivens,
recognizing in limited circumstances a claim for money damages against federal officers who abuse their constitutional authority.
In Davis, we inferred a new right of action chiefly because the Petitioner lacked any other remedy for the alleged constitutional
deprivation. 442 U. S., at 245 (For Davis, as for Bivens, it is damages or nothing). In Carlson, we inferred a right of action
against individual prison officials where the Petitioner's only alternative was a Federal Tort Claims Act (FTCA) claim against
the United States. 446 U. S., at 18. 23. We reasoned that the threat of suit against the United States was insufficient to
deter the unconstitutional acts of individuals. Id., at 21. (Because the Bivens remedy is recoverable against individuals,
it is a more effective deterrent than the FTCA remedy). We also found it crystal clear that Congress intended the FTCA and
Bivens to serve as parallel and complementary sources of liability. 446 U.S., at 19.20...In 30 years of Bivens jurisprudence
we have extended its holding only twice, to provide an otherwise nonexistent cause of action against individual officers alleged
to have acted unconstitutionally, or to provide a cause of action for a Petitioner who lacked any alternative remedy for harms
caused by an individual officers unconstitutional conduct.” Sovereign
Immunity Based on This Court's Jewish Justices and Government Respondents' Abrogation of Petitioner's Right to Equal Protection as a Disabled Person
In the U.S. Supreme Court case United States vs. Georgia, et al, quoting verbatim: “Goodman, petitioner in
No. 04–1236, is a paraplegic who sued respondent state Respondents and others, challenging the conditions of his confinement
in a Georgia prison under, inter alia, 42 U. S. C. §1983 and Title II of the Americans with Disability Act of
1990. As relevant here, the Federal District Court dismissed the §1983 claims because Goodman’s allegations were
vague, and granted respondents' summary judgment on the Title II money damages claims because they were barred by state sovereign
immunity. The United States, petitioner in No. 04–1203, intervened on appeal. The Eleventh Circuit affirmed the District
Court’s judgment as to the Title II claims, but reversed the §1983 ruling, finding that Goodman had alleged facts
sufficient to support a limited number of Eighth Amendment claims against state agents and should be permitted to amend his
complaint. This Court granted certiorari to decide the validity of Title II’s abrogation of state sovereign immunity.” Change of Venue and Improper Venue Based on Petitioner's Request
to the District Court to Remover Her Case from a Corrupt, Bias Court to an Impartial Court Federal Rules for Civil Procedure Rule 41(b): (b) “Unless the dismissal
order states otherwise, a dismissal under this subdivision (b) and any dismissal not under this rule—except one for
lack of jurisdiction, improper venue, or failure to join a party under Rule 19—operates as an adjudication on the merits.” With regard to 28 USC §1404(a), the case
Stewart Organization, Inc. v. Ricoh Corp., 487 U.S. 22 (1988) says the following with reference to change to another
venue: “Section 1404(a) is sufficiently broad to control the forum-selection issue. The statute is intended to place
discretion in the district courts to adjudicate motions for transfer according to an individualized, case-by-case consideration
of convenience and fairness. A motion to transfer under §1404(a) calls on the district court to weigh in the balance
a number of case-specific factors, and the presence of a forum-selection clause will figure centrally in the calculus. A forum-selection
clause should receive neither dispositive consideration nor no consideration, but rather the consideration for which Congress
provided in §1404(a) (emphasis added).
In the case Ralls Corporation V. Terna Energy USA Holding Corporation, Civil Action No. 13-0117 (ABJ), the court
rendered the following decision: “Petitioner Terna Energy USA Holding Corporation ("Terna") moves to dismiss
Petitioner Ralls Corporation's (“Ralls”) complaint for lack of personal jurisdiction, improper venue, and lack
of subject matter jurisdiction. Upon consideration of the parties' briefs, the record in this case, and the applicable law,
the Court will grant the motion to dismiss for lack of personal jurisdiction and improper venue. It does not reach the question
of subject matter jurisdiction. (emphasis added). Facts Documentation Verifying the Identify of Ehigie Edobor Uzamere In December, 1977, approximately two
(2) years before the Petitioner met Respondent Ehigie Edobor Uzamere, Nosayaba (John) Uzamere and his wife Ethel Uzamere
filed for IR2 residence for Respondent Ehigie Edobor Uzamere. The IR2 visa for Respondent Uzamere was approved on January
28, 1980. The name and immigration number under which he applied for permanent residence was Ehigie Edobor Uzamere, XXXXXXXX
XX, 1960, file number A35 201 224. See correspondence from the U.S. Immigration and Naturalization Service attached as Pet.
App. Exhibit B.
a) Correspondence from Rachel McCarthy, Bar Counsel U.S. Citizenship and Immigration Service, dated January 6, 2009, see Pet.
App. Exhibit B;
b) Correspondence from U.S. Citizenship and Immigration Service dated June 12, 2009; see Pet. App. Exhibit B; c) Report from Rachel McCarthy, Bar
Counsel, U.S. Citizenship and Immigration Service (October, 2008); see Pet. App. Exhibit B; d) Correspondence from U.S. Immigration
and Naturalization Service bearing Immigration File No. A35 201 224 (undated); see Pet. App. Exhibit B; e) Correspondence from U.S. Immigration
and Naturalization Service bearing Immigration File No. A35 201 224 dated February 10, 1984; see Pet. App. Exhibit
B;
f) Correspondence from U.S. Immigration and Naturalization Service bearing Immigration File No. A24 027 764 dated June 15,
1981; see Pet. App. Exhibit B;
g) Decision dated May 12, 2009, in which NYS Justice Jeffrey S. Sunshine said: “Today at 10:35 a.m. defendant was declared
in default for failure to appear at the hearing. Accordingly, defendant's motion to dismiss this action upon the grounds
that he is not the husband of the plaintiff is denied in its entirety. The defendant is the husband in conformity with
the parties marriage on November 21, 1979. See Pet. App. Exhibit B. h) Decision dated May 12, 2009, in which NYS Justice Matthew
D'Emic said: “The parties were married in New York State on November 21, 1979, and the child of the marriage was born
on July 7, 1980. At some point between the wedding and birth the defendant abandoned his family and moved to Nigeria. By filing
a summons with notice, plaintiff commenced this proceeding on July 18, 2007, and service was affected on defendant in Nigeria
in the manner directed by Justice Prus of this court.” See Pet. App. Exhibit B. i) Decision Uzamere v
Uzamere, 2009 NY Slip Op 09214 [68 AD3d 855] dated December 8, 2009 in which the New York State Supreme Court for the Appellate
Division, 2nd Judicial Department removed a.k.a. “Godwin Uzamere” to Cheryl D. Uzamere to Ehigie Edobor Uzamere.
The decision states: “In an action for a divorce and ancillary relief, the plaintiff appeals, as limited by her brief,
from stated portions of an order of the Supreme Court, Kings County (Sunshine, J.), dated January 12, 2009, which, inter
alia, denied her motion, among other things, for leave to enter a default judgment against the defendant and for an award
of child support, and directed a hearing on the issue of whether the parties were in fact married. See Pet. App.
Exhibit B.
j) Affidavit of the child of the marriage, Tara A. Uzamere in which she swears under oath that Respondent
Ehigie Edobor Uzamere is her father; see Pet. App. Exhibit k) Documentation from Nigeria confirming
that the names Senator Ehigie Edobor Uzamere, Godwin Ehigie Uzamere and Senator Ehigie Uzamere belong to Senator Ehigie Edobor
Uzamere. See Pet. App. Exhibit B. l) Petitioner requests a subpoena
duces tecum to obtain proof from the U.S. Citizenship and Immigration Service; however Petitioner know that in this Court's
Jewish justices determination to hide their Jewish friends' crimes, they will not comply. Petitioner invites this Court's
Jewish justices to arrest all parties involved in the making and presenting of the aforementioned documentation if said documentation
is found to be false, or to admit that this Court's Jewish justices' Jewish friends committed felonies and arrest them as
the law requires. Documentation Used by Respondents to Falsify the Identity
of Ehigie Edobor Uzamere a)
On November 20, 1979, Respondent's Ehigie E. Uzamere filled out a marriage affidavit. The marriage affidavit indicated that
the aforesaid Respondent provided the name “Godwin Ehigie Uzamere” but did not provide any identification. See
marriage affidavit attached at Pet. App. Exhibit B.
b) On November 21, 1979, the Petitioner unwittingly entered into a “romance scam” marriage
with Respondent Ehigie Edobor Uzamere under the fictitious named “Godwin Ehigie Uzamere, and under the fictitious
birthday “XXXXXX XX, 19XX.” The Petitioner was provided with marriage certificate. He abandoned the Petitioner
on the day of the marriage while she was pregnant. See Pet. App. Exhibit B. ..........c)
On or around October 1, 2003, Jack Gladstein mailed to the Petitioner correspondence falsely holding Petitioner's ex-husband
out to be “Godwin Uzamere.” See Pet. App. Exhibit B. ..........d) On or around September 25, 2008, Government
Respondent's McCarthy falsely made the accusation that Petitioner “impeded, intimidated, and interfered with a federal
employee, namely an employee of the United States Customs and Immigration Service, while that person was engaged in and on
account of that person's performance of official duties.” The Government Respondent withdrew its case against
the Petitioner on December 2008. ..........On or around October 8, 2008, Petitioner Eugene Uzamere hand- delivered a fraudulent affirmation
and a fraudulent, unauthenticated,3 unnotarized counter-affidavit from Nigeria. See Pet. App. Exhibit B. ..........Also, during October 2008, Respondent McCarthy
and Respondent Cowles gave Petitioner's criminal attorney Beth Mann a copy of the I-130 immigration sponsorship form that
Petitioner signed on November 30, 1979 and a report explaining the two (2) immigration files having birthdays “June
1, 1955” and December 31, 1960 and explaining “IR2 fraudulently obtained because he was married at the time”
and “Compare fingerprints between the two files.” See Pet. App. Exhibit B. ..........On or around January 6, 2009, Petitioner received
correspondence from Respondent McCarthy indicating that “The acts that you allege constitute a violation of the Rules
of Professional Conduct for Practitioner occurred in the course of representation by an attorney associated with Mr. Kaye
in connection with an immediate relative filed by you with the Immigration and Naturalization (“INS”) in 1979.”
See Pet. App. Exhibit B. ..........On
January 12, 2009, Respondent Sunshine engaged in misprision of felony, racketeering, aggravated identity theft and fraud upon
the court by rendering a decision in which he stated that “Moreover, the opposition submitted by Respondent raises a
genuine issue as to whether or not Petitioner and Respondent were married in the first instance”, in defiance of INS'
administrative decision that recognized the names “Godwin E. Uzamere” and Ehigie Edobor Uzamere as belonging to
Ehigie Edobor Uzamere. See page 9 of Justice Sunshine's decision attached as Pet. App. Exhibit B. ..........On May 12, 2009, Respondent Sunshine rendered
his decision recognizing the identity of Petitioner's ex-husband as Ehigie Edobor Uzamere by stating that “Today at
10:35 am. Respondent was declared in default for failure to appear at the hearing. Accordingly, Respondent's motion
to dismiss this action upon the grounds that he is not the husband of the Petitioner is denied in its entirety. See Justice
Sunshine's dated May 12, 2009 attached as Pet. App. Exhibit B. ..........On or near October 28, 2009 during the adjudication of the case Uzamere
vs. Uzamere, et al, Case No. K-18012/2009, Respondents Allen E. Kaye, Harvey Shapiro and Jack Gladstein submitted fraudulent
affirmations to the Government Respondent falsely holding “Godwin Uzamere” and Ehigie Edobor Uzamere to be two
(2) different persons. See affirmations of Allen Kaye, Esq., Harvey Shapiro, Esq. And Jack Gladstein attached as Pet.
App. Exhibit B. ..........On November
3, 2009 Respondents Jeffrey S. Sunshine, Arthur M. Schack, Michael Gerstein, Allen E. Kaye, Harvey Shapiro, Jack Gladstein
and Jewish billionaire and Daily News owner Mortimer Zuckerman conspired to implement the Petitioner's false arrest for threatening
Respondent Justice Sunshine for the sole purpose of obtaining an advantage in the action for fraud that Petitioner filed against
Respondents Allen E. Kaye, Harvey Shapiro and Jack Gladstein, and knowingly, fraudulently and with malice aforethought
publish a newspaper article entitled Hate-spewing Wacko Goes into Fit in Court, that illegally disclosed Petitioner's nonpublic
information that was acquired by the Government Respondent's court during the adjudication of Petitioner's cases. See Daily
News article dated November 5, 2009 attached as Pet. App. Exhibit C. On November 30, 2009, twenty-five (25) days after Respondent Daily News, LP published its article regarding the
Petitioner, Respondent Federation Employment and Guidance Service terminated its mental health services to the Petitioner.
In its discharge summary it stated that “given client's history of anti-Semitic remarks treatment at an FEGS facility
is inappropriate for her.” FEGS' discharge summary is attached as Pet. App. Exhibit C. ..........On December 7, 2009, the Petitioner was placed
with Respondent New York State Office of Mental Health's Kingsboro Psychiatric Facility. ..........On December 24, 2009, Petitioner was seen by Respondent
New York State Unified Court System judicial employee the Honorable Anthony Cutrona of Kings County Supreme Court's Mental
Hygiene Court and ordered to remain in Government Respondent's psychiatric facilities as an inpatient. ..........On January 15, 2010, Government Respondent's employee Respondent Schack
conspired with employees of Government Respondent's employees at Government Respondent's psychiatric facility Kingsboro Psychiatric
Facility not to produce the Petitioner for court. In his decision dated January 25, 2010, Respondent Schack stated that “The
Court is concerned that Petitioner UZAMERE is unfit to proceed. . .Therefore, the instant matter is adjourned
to Friday, March 19, 2010. . .” See interim decision of Respondent Schack attached as Pet. App. Exhibit C. ..........On or near February 23, 2010, while the Petitioner
was in her apartment faxing letters of complaint to various governmental agencies, Respondents Sunshine, New York State Office
of Mental Health and Brookdale University Hospital Medical Center engaged in an act of racketeering/obstruction of justice,
insofar as they contacted a social worker from Respondent Brookdale University Hospital Medical Center, who then arranged
for Petitioner to be kidnapped and hospitalized by Respondent New York State Office of Mental Health's Kingsboro Psychiatric
Center. ..........During Petitioner's last
week as an inpatient, Government Respondent's employee Ms. Velcimé performed a search of New York Psychotherapy and
Counseling Center and other outpatient mental health care providers, Ms. Velcimé informed the Petitioner that
not only had NYPCC refused to accept Petitioner as a client, but that virtually all the not-for-profit outpatient mental
health facilities that Ms. Velcimé contacted rejected her request to provide Petitioner with outpatient psychiatric
services. ..........On July 13, 2010, Government
Respondent's employee Respondent Schack rendered a decision falsely holding “Godwin Uzamere” to be is Petitioner's
husband; and further stated that it is “ORDERED, that the instant complaint is dismissed with prejudice; and it is further
ORDERED, that Petitioner CHERYL UZAMERE is hereby enjoined from commencing any future actions in the New York State Unified
Court System against SENATOR EHIGIE EDOBOR UZAMERE a/k/a "GODWIN E. UZAMERE," ALLEN E. KAYE, P.C., ALLEN E. KAYE,
ESQ., HARVEY SHAPIRO, ESQ., BERNARD J. ROSTANSKI and JACK GLADSTEIN, ESQ., without the prior approval of the appropriate Administrative
Justice or Judge; and it is further ORDERED, that any violation of the above injunction by CHERYL UZAMERE will subject
CHERYL UZAMERE to costs, sanctions and contempt proceedings.” See Respondent Schack's decision dated July 13,
2010 attached as Pet. App. Exhibit C. ..........On
August 16, 2010, Petitioner filed lawsuit Uzamere v. USA, 2010-cv-555 with the U.S. Court of Claims. Said lawsuit provided
Respondent Miller with irrefutable evidence of Allen E. Kaye's, Harvey Shapiro's and Jack Gladstein's commission of identity
theft. Respondent Miller rendered her decision designed to: 1) advance the Talmudic doctrine Law of the Moser; 2)
trick Petitioner into believing that a civil res judicata determination was a permanent and final determination to nullify
and render harmless any legal consequences based on Respondents Allen E. Kaye's, Harvey Shapiro's and Jack Gladstein's
criminal commission of identity theft and conspiracy to commit identity theft. ..........On August 30, 2010, Petitioner filed lawsuit Uzamere v. USA, 2010-cv-585 with the U.S. Court
of Claims. Said lawsuit provided Respondents Nancy B. Firestone and John P. Wiese with irrefutable evidence of Allen E. Kaye's,
Harvey Shapiro's and Jack Gladstein's commission of identity theft. Respondents Firestone and Wiese rendered their decision
designed to: 1) advance the Talmudic doctrine Law of the Moser; 2) trick Petitioner into believing that a civil res judicata
determination was a permanent and final determination to nullify and render harmless any legal consequences based on Respondents
Allen E. Kaye's, Harvey Shapiro's and Jack Gladstein's criminal commission of identity theft and conspiracy to commit
identity theft. ..........On September 1, 2010,
Petitioner filed lawsuit Uzamere v. USA, 2010-cv-591 with the U.S. Court of Claims, and that said lawsuit was assigned
to Respondent judge Christine O.C. Miller of the U.S. Court of Claims. Petitioner alleges that she provided Respondent Miller
with irrefutable evidence of Allen E. Kaye's, Harvey Shapiro's and Jack Gladstein's commission of aggravated identity theft,
and that Respondent Miller disobeyed 18 USC §4 by failing to file a criminal complaint against the aforementioned Jewish
attorneys. The decision rendered on this case was an act of racketeering because it was an act of obstruction of justice.
It was also a clear act of fraud upon the court, designed to: 1) advance the Talmudic doctrine Law of the Moser; 2) trick
Petitioner into believing that a res judicata determination – a purely civil adjudicative function – was a permanent
and final determination to nullify and render harmless corrupt Jewish attorneys Allen E. Kaye's, Harvey Shapiro's, Jack Gladstein's,
and Mortimer Zuckerman's and Scott Shifrel's commission of aggravated identity theft – a wrongful act for which
the correct criminal adjudicative function of double jeopardy was never attached because the crime was never tried. ..........On or around January 11, 2011, Petitioner filed
lawsuit Uzamere v. State of New York, 2011-030-531 against Respondent State of New York with Respondent NYS Judge
Scuccimarra. Respondent Scuccimarra never made any attempt to address the aforementioned Jewish attorneys' commission of identity
theft and their conspiracy to commit identity theft. ..........On
or around January 19, 2011, Petitioner filed a lawsuit against Respondent Gerstein, Respondent Sunshine and Respondent Schack
with Respondent the New York State Commission on Judicial Conduct. Respondent Klonick never made any attempt to address the
aforementioned Respondent judges conspiracy not to address the Jewish attorneys commission of identity theft
or their conspiracy to commit to hide the identity theft. ..........On
or around April 29, 2011, Petitioner filed a lawsuit against Respondents Allen E. Kaye, Harvey Shapiro and Jack Gladstein
with Respondents the New York State Departmental Disciplinary Committee for the First Judicial Department and the New York
Grievance Committee for the Second Judicial Department. Respondents Del Tipico and Gutierrez never made any attempt to address
the aforementioned Jewish attorneys commission of identity theft. ..........In
June, 2011, Petitioner filed the Uzamere v. Cuomo, et al, 11-cv-2831 with the for the Eastern District of New York. ..........On or around June 22, 2011, Respondent Garaufis
rendered his illegal decision, stating irrelevantly that “Petitioner has a long, tired history of vexatious litigation
in this court.” His decision also illegally ignored the Respondents' commission of identity theft and their conspiracy
to prevent the Petitioner from filing any criminal or civil complaints against any of the Jewish Respondents. Respondent Garaufis
illegally applied a res judicata determination to pretend that his decision has the legal ability to nullify and render harmless
any attempt by the Petitioner to file a criminal action against Jewish attorneys Allen E. Kaye's, Harvey Shapiro's, Jack
Gladstein's, Mortimer Zuckerman's and Scott Shifrel's commission based on their commission of identity theft – a wrongful
act for which the correct criminal adjudicative function of double jeopardy was never attached
because the crime was never tried. ..........On
or around June 25, 2011, Respondent Garaufis ordered three (3) marshals from the U.S. Marshals Service to visit the Petitioner's
home to intimidate her, and if possible, to catch her while she alone in order to place her in Government Respondent's psychiatric
facility as an inpatient. One (1) of the marshals banged on Petitioner's apartment door, embarrassing Petitioner within earshot
of her neighbors and frightening the Petitioner. When the U.S. Marshal for the Eastern District of New York identified themselves,
Petitioner asked them if she had committed a crime. The marshals stalled for a few seconds, and then said that Petitioner
had not committed any crimes. When Petitioner asked the U.S. Marshals why they were there, the U.S. Marshal that banged on
Petitioner's door said “I'm gonna annoy you like you annoyed Judge Garaufis.” When Petitioner told them that she
would not open the door, the one banging on the door said “then I'm gonna keep bangin”, and for another 1.5 minutes
continued to bang on Petitioner's door. He also asked Petitioner “is your daughter Tara home?”, to find out if
Petitioner was home alone. Within minutes of Petitioner telling them that her daughter Tara was there, they left. ..........On July 4, 2011, Petitioner filed her appeal for
the lawsuit Uzamere vs. Cuomo, et al, 11-2713-CV. ..........From
July 6, 2011, the date in which Petitioner is alleged to have committed 18 USC §115 against Respondent Garaufis, other
federal judges and employees of the U.S. Department of Health and Human Services' Centers for Medicare and Medicaid Services
call center, no federal law enforcement agency made any attempt to arrest the Petitioner for the offenses for which Petitioner
still stands accused. According to Respondent Catherine O'Hagan Wolfe, the judges who rendered decisions on Petitioner's
appeal for her lawsuit Uzamere vs. Cuomo, et al, 11-2713-cv were not indicated on the decision because others
unknown to Petitioner told Respondent O'Hagan Wolfe that Petitioner threatened Respondent Garaufis, other federal judges and
Respondent Sunshine. ..........On or around July 7, 2011, Respondents psychiatric nurse Agnes Flores and psychologist Martin
Bolton, employees of Respondent New York City Health and Hospitals Corporation came to Petitioner's apartment, speaking about
Petitioner's psychiatric issues in the hallway and shaming Petitioner within earshot of her neighbors. Respondents
Flores and Bolton said that Respondent U.S. Marshal Service4 told them that Petitioner contacted Respondent Mental Health Association's LifeNet psychiatric helpline and
made threats of bodily harm against Respondent Garaufis. Petitioner told them that had she done such a thing that
the U.S. Marshal Service would have arrested her when they visited her and given her an attorney, which would have forced
Petitioner's attorney to examine Petitioner's civil claims. Also, at the behest of Respondent Garaufis, Petitioner alleges
that Respondent O'Hagan Wolfe returned Petitioner's appellate brief, all of Petitioner's motions, Pet. App. Exhibit C and
Pet. App. Exhibit C that Petitioner served on the U.S. Court of Appeals for the Second Circuit on July 4, 2012. Respondent
O'Hagan Wolfe did not include any correspondence explaining why Petitioner's appellate documents were returned. See copies
of UPS envelopes for Petitioner's appellate documents, Uzamere vs. State of New York, et al 09-cv-2703/09-3197-cv
and Uzamere vs. Cuomo, et al, 11-2831-cv and 11-2713-cv attached as Pet.
App. Exhibit C and Pet. App. Exhibit C. ..........In
June/July 2011, Respondent Garaufis illegally authorized Respondent FBI to authorize Cablevision to monitor the non-content
information of Petitioner's telephone calls in order to find something that could be used to blackmail the Petitioner, in
violation of 18 USC §2709 and 18 USC §3511. Respondent Garaufis authorized the FBI to use any non-content information
regarding Petitioner's outpatient psychiatric clinic and her government health insurance providers to create a story that
Petitioner threatened Respondent Garaufis, other federal judges and employees of the Centers for Medicare and Medicaid Service.
Petitioner faxed a copy of a complaint to U.S. Attorney Preetinder Bharara. Thereafter, Respondent Davis called5, 6 Petitioner again, frightening Petitioner by telling Petitioner that Petitioner would be forcibly hospitalized
because Respondent Garaufis falsely told Respondent U.S. Marshal Service that Petitioner had threatened judges and other federal
employees at the (federal) Medicaid office. Petitioner uploaded their conversation to her website. ..........In the month of August, 2011 Respondent Davis contacted Respondent Sarpong
for the purpose of forcing Petitioner to go to Respondent Brookdale Hospital Medical Center, where Petitioner was unlawfully
imprisoned as an inpatient for being falsely accused of threatening Respondent Garaufis and other judges
with bodily harm, and threatening CMS workers with death. ..........On or around August 18, 2011, Respondent New York City Health and Hospitals
Corporation's East New York Diagnostic and Treatment Center's Assertive Community Treatment Team received correspondence from
U.S. Department of Homeland Security on its original letterhead bearing the name “Denis P. McGowan, Chief, Threat Management
Branch.” The letter stated: “On July 06, 2011, Federal Protective Service (FPS) was notified of a telephonic threat
made by CHERYL UZAMERE to the Centers for Medicare & Medicaid call center. The threat consisted of HER stating: since
SHE did not get the job, SHE was going to “COME DOWN THERE AND KILL EVERYBODY. Since FPS7 has investigated UZAMERE multiple times for similar behavior, we are well aware of HER mental health history.
Based on that information, a referral was made to LifeNet for mental health intervention on July 07 2011. Subsequently, UZAMERE's
Intensive Case Manager (ICM) Bridgett Davis of the New York State Office of Mental Health has advised that UZAMERE's treatment
has been transferred to the Assertive Community Treatment (ACT) program. We were informed that CHERYL D. UZAMERE is being
treated as a patient by your program and we would like to keep you abreast of this situation as it evolves. We also request
that we be notified as HER status changes in particular any change from in-patient to out-patient treatment and in the case
of the latter any refusal of treatment. In addition, please notify FPS of any relapses or deterioration of HER condition
that may pose a risk to life or property.” See letter from Denis P. McGowan, U.S. Department of Homeland Security attached
as Pet. App. Exhibit C. Respondent New York City Health and Hospital Corporation's ACT Team prepared
a psychiatric treatment plan. Under the title “Alerts”, the treatment plan falsely states that “. . . H/O
threats to judges and Center for Medicaid and Medicare, patient is being monitored by Homeland Security.” Under the
title “Discharge Plan”, it says “Patient is not being considered for discharge at this time, she was transferred
to the program 6 months ago after she made a threat to the Medicare and Medicaid call center and is being monitored by the
U.S. Department of Homeland Security.” Under the title “Patient/Family Statement”, it says that “She
reported not being aware of being monitored by Homeland Security. . .” (see Petitioner's psychiatric
treatment plan from the East New York Diagnostic and Treatment Center's Assertive Community Treatment Team, attached
as Pet. App. Exhibit C). ..........On or around November 28, 2012, Respondents Raggi, Carney and Kahn of the U.S. Court of Appeals for the Second Circuit
engaged in an act of racketeering, obstruction of justice and criminal facilitation of aggravated identity theft by rendering
an FRAP-lacking decision regarding Uzamere vs. Cuomo, et al, 11-2713-cv for the sole purpose of 1) advancing the
Talmudic doctrine Law of the Moser by not filing a criminal complaint against Jewish immigration attorneys Allen E. Kaye,
Harvey Shapiro and Jack Gladstein for their commission of identity theft, and their own commission of racketeering, obstruction
of justice, criminal facilitation of aggravated identity; and, 2) tricking Petitioner into believing that a res judicata
determination – a purely civil adjudicative function – was a permanent and final determination to nullify and
render harmless Respondents Allen E. Kaye's, Harvey Shapiro's, Jack Gladstein's, Mortimer Zuckerman's and Scott Shifrel's
commission of identity theft – a criminal act for which the correct criminal adjudicative function of double jeopardy
was never attached because the crime was never tried. ..........On
or around January 30, 2013, Petitioner received a letter from the Centers for Medicare and Medicaid Services. The letter stated:
"Our records show that you placed calls to 1-800-MEDICARE on the dates and times listed below (all times Central). We
can confirm that none of these calls contained threatening comments.” See Pet. App. Exhibit C. ..........During March, 2013, Respondent Vermont Professional
Responsibility Program refused to filed a complaint with the U.S. Department of Justice regarding the aforementioned commission
of misprision of felony, identity theft, RICO/racketeering and obstruction of justice. See letters from Vermont's Rules of
Professional Conduct, attached as Pet. App. Exhibit C. ..........On March 24, 2013, Respondent “John Doe” #1 blackmailed Petitioner by telling
her that he would call Petitioner's daughter, mentioning Petitioner's daughter's name (something that generally precedes a
threat of psychiatric hospitalization), and then would come to Petitioner's apartment; however, when asked if Petitioner had
committed a crime and whether Petitioner would be assigned an attorney, "John Doe" #1 said that Petitioner would
have to obtain an attorney on her own. As it turned out, "John Doe" #1 never came to Petitioner's apartment, and
never contacted Petitioner's daughter. During Petitioner's conversation with FBI employee "John Doe" #1, Petitioner
told the employee that she was recording the conversation. Petitioner recorded the conversation and
uploaded it to http://www.thecrimesofsenatoruzamere.net/uzamere_v_obama.html (refer to the link FBIconversation - click here). ..........On March 25, 2013 Petitioner sent a reply back to Vermont's Professional Responsibility Program
with copies of the attorneys' fraudulent affirmations that hold Godwin Uzamere to be Petitioner's husband. ..........On April 9, 2013, Petitioner e-mailed a formal complaint to Respondent
Congressman Jeffries containing the Center for Medicare and Medicaid Services confirming that Petitioner did not threaten
anyone during any of the phone calls Petitioner made to the CMS call center; however Respondent Jeffries made no attempt to
respond to Petitioner's cry for help. ..........On
or near August 7, 2013, Respondent Sullivan engaged in the Jewish religious doctrine of Law of the Moser, the criminal
equivalent of misprision of felony by not reporting the crimes that Petitioner's exhibits proved occurred. Respondent Sullivan
committed the requisite affirmative acts by prohibiting the court's staff from uploading Petitioner's exhibits to PACER's
Electronic Court Filing System, the court's more efficient electronic filing system, and by not allowing the court's staff
to sign Petitioner's subpoena duces tecum in order to: 1) obtain proof of Petitioner ex-husband's identity from Government
Respondent U.S. Citizenship and Immigration Service so as to leave no doubt regarding the identity of Petitioner's ex-husband
and the father of Tara A. Uzamere, the child of the marriage; 2) to ensure that the Jewish Respondents are no longer able
to leave their criminally fraudulent statements in the media and on the internet regarding Petitioner's ex-husband unchallenged;
3) end the violation of Petitioner's and witnesses civil and human rights; 4) end the Government's Respondents involvement
in the encroachment of the Jewish religion; 5) reestablish Petitioner's right to upload her legal documents to PACER.gov;
7) end Government Respondent's violation of the U.S. Supreme Court legal doctrine “void for vagueness” by explaining
what makes Petitioner's exhibits too voluminous, by giving Petitioner the opportunity to learn what Respondent Smith means
by “too voluminous” so that Petitioner could make repairs on said exhibits and upload them to PACER.gov. ..........On August 26, 2013, Respondent Sullivan stated
in her fraudulent Report and Recommendation to dismiss Petitioner's Amended Petition “. . .it is inconceivable that
venue over this matter could ever be proper in this District”, even though the federal District Court case Ralls
Corporation V. Terna Energy USA Holding Corporation does not reach the question of subject matter jurisdiction as it
was filed in the wrong venue. (emphasis added); that Magistrate Judge Patricia A. Sullivan engaged in the Hobbs Acts by either
accepting bribes or allowing herself to be extorted/blackmailed by the Jewish Respondents. Respondent Sullivan illegally misapplied
the res judicata principle to situations in which Petitioner clearly established the continuing violations doctrine;
and finally, that Respondent Sullivan's Report and Recommendation is proof of ongoing crimes and civil torts for which Petitioner
can again apply the continuing violations doctrine. See the following: 1) Daily News article criminally holding Petitioner
to be mentally unfit and that “Godwin Uzamere” is Petitioner's husband; 2) page two (2) of Respondent Garaufis'
Order regarding Petitioner's civil rights lawsuit, Cheryl D. Uzamere v. Andrew M. Cuomo, et al., Case No. 1:2011-cv-2831,
enumerating 589 that were uploaded to PACER.gov, attached as Uzamere vs. Cuomo, Memorandum and Order page two (2);
3) lawsuit Viacom International Inc., et al. v. Youtube, Inc, et al, Case No. 1:07-CV-2103 (LLS) that explains the
conditions associated with what makes exhibits “voluminous”, PACER Monitor statements describing Petitioner's
exhibits as “too voluminous” but being vague as to why the 245 pages of exhibits are considered too voluminous,
attached as Pet. App. Exhibit C. Also see Magistrate Patricia A. Sullivan's Report and Recommendation
attached as Pet. App. Exhibit C. Returns
of Jew-Caused Injustice and Oppression to Other Gentiles ..........As a result of criminal obstruction by this Court's Jewish justices, the First Circuit's
Jewish judges, and by Rabbi and attorney Michael J. Broyde, a teacher who works for the National Institute for Judaic Law
and teaches the Judaic doctrine Law of the Moser, there has been a four-month failure to render a decision regarding Petitioner's
request for IFP status, so that no opinion has been made by the lower Court. ..........Magistrate Sullivan engage in a discriminatory,
religiously racist and criminal act in rendering her decision to dismiss Petitioner's case. ..........African American Gentile citizen P. Guity reported acts of discrimination
against her school district. The statute of limitations for schools districts in New York State is only one year. P.
Guity's waited too long to file her case before the statute of expiration. .......... Later on, Jewish Attorney Scott Michael Mishkin, pretending that he had provided P. Guity
with legal services, stole $12,000 from P. Quity. New York State Justice Denise Molia, and Ivan J. Dolowich of law firm Kaufman
Dolowich Voluck & Gonzo LLP formed a RICO which Petitioner reported to the FBI. They are still charging Mrs. Guity
for legal services even though the statute of limitation for Mrs. Guity's legal case had expired
long before Ms. Guity met Scott Mishkin. ..........Bernard Sussman engaged in harassing the Petitioner and lying with regard to the identity of her ex-husband.rIn
the continued Jewish oppression of the Petitioner, Bernard Sussman used the Youtube.com site to harass Petitioner by saying the
following:
“This woman is claiming to have been married, then abandoned,
by an important Nigerian politician. She has filed at least ten court cases in various places based on this assertion - and
then arguing that there is a Jewish conspiracy controlling all the courts in favor of that Nigerian politician. But it turns
out that her ex-husband has come forward and made very clear that he is the (poor) cousin of the politician and the politician
has nothing to do with their marriage. Uzamere v. Daily News LLP (NY Cnty Supm Ct, Nov.
10, 2011) 34 Misc.3d 1203(A), 2011 NY Slip Op. 52421(U), 946 NYS2d
69(t) http://scholar.google.com/scholar_case?case=13879595403336403090. REASONS FOR GRANTING
WRIT POINT
I Jewish Teachings that Teaches that Gentiles and Black People
Are Meant to Be Enslaved by Jews Violates the U.S. Constitution ..........“Congress shall make no law respecting an establishment of religion
or abridging the freedom of speech . . .and to petition the Government for a redress of grievances ” See Lemon
v. Kurtzman, 403 U.S. 602 (1971),
Establishment
Clause – First Amendment ..........“In
1947, the U.S. Supreme Court decision Everson v. Board of Education incorporated the Establishment Clause (i.e., made it apply
against the states). In the majority decision, Justice Hugo Black wrote: 'The “establishment of religion”' clause
of the First Amendment means at least this: Neither a state nor the Federal Government can set up a church. Lemon v. Kurtzman ..........Held: Both statutes are unconstitutional under the Religion Clauses of the First Amendment,
as the cumulative impact of the entire relationship arising under the statutes involves excessive entanglement between government
and religion. Civil Rights Act of 1964,
Title VI, §601 Nondiscrimination in Federally Assisted Programs ..........“No person in the United States shall, on the ground of race, color, or national origin,
be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any program or activity
receiving Federal financial assistance.” Fogg v. Gonzales, Nos. 05-5439, 05-5440 says the following: “In
the case Correctional Services Corporation, v. John E. Malesko, the U.S. Supreme Court stated that “In 30 years of Bivens
jurisprudence we have extended its holding only twice, to provide an otherwise nonexistent cause of action against individual
officers alleged to have acted unconstitutionally, or to provide a cause of action for a Petitioner who lacked any alternative
remedy for harms caused by an individual officers unconstitutional conduct.” However, in the same case, the Court said:
“Most recently, in FDIC v. Meyer, we unanimously declined an invitation to extend Bivens to permit suit against a federal
agency, even though . . .Congress had waived sovereign immunity [and] was otherwise amenable to suit. 510 U. S., at 484, 486.
Our opinion emphasized that the purpose of Bivens is to deter the officer, not the agency. Id., at 485 (emphasis in original)
(citing Carlson v. Green, supra, at 21). We reasoned that if given the choice, Petitioners would sue a federal agency instead
of an individual who could assert qualified immunity as an affirmative defense. To the extent aggrieved parties had less incentive
to bring a damages claim against individuals, the deterrent effects of the Bivens remedy would be lost. 510 U.S. at 485.
Accordingly, to allow a Bivens claim against federal agencies would mean the evisceration of the Bivens remedy, rather
than its extension. 510 U. S., at 485.” This Court's Justices and the Jewish Respondents made secret reference to
Petitioner's race as it pertains to the Judaic teaching regarding black people to disparage her so as to prevent Petitioner's
complaints against the lawbreaking Jews from being heard. ..........In
the case of the Jewish Respondents, because of Judaic-law/religious encroachment, specifically the encroachment of the Talmudic
doctrine Law of the Moser, this Court's Jewish justices is the reason for the Government Respondents' refusal to file
criminal complaints against those Respondents. who violated federal law is a fact. POINT II ..........Whether
this Court's Jewish justices and the Respondents violated the law by allowing the encroachment of Law of the Moser to prevent
Petitioner from filing criminal complaints against members of the RICO; and whether this Court's Jewish Justices and the Respondents
violated the law by committing fraud upon the court, Law of the Moser (same as misprision of felony) by treating romance scam
marriage for a green card and identity theft as domestic issues to be handled by a state court in violation of Ankenbrandt
v. Richards. ..........What
is Fraud upon the Court? ..........Whenever any officer of the court commits fraud during a proceeding in the court, he/she
is engaged in fraud upon the court. In Bulloch v. United States, 763 F.2d 1115, 1121 (10th Cir. 1985), the court
stated fraud upon the court is fraud which is directed to the judicial machinery itself and is not fraud between the parties
or fraudulent documents, false statements or perjury. . .It is where the court or a member is corrupted or influenced or influence
is attempted or where the judge has not performed his judicial function – thus where the impartial functions
of the court have been directly corrupted.
..........Fraud upon the court has
been defined by the 7th Circuit Court of Appeals to “embrace that species of fraud which does, or attempts to, defile
the court itself, or is a fraud perpetrated by officers of the court so that the judicial machinery can not perform in the
usual manner its impartial task of adjudging cases that are presented for adjudication.” Kenner v. C.I.R.,
387 F.3d 689 (1968); 7 Moore's Federal Practice, 2d ed., p. 512, ¶60.23. The 7th Circuit further stated “a decision
produced by fraud upon the court is not in essence a decision at all, and never becomes final.” RICO Refused to Sign Subpoena
To Hide Its Commission of Immigration Fraud ..........Fed. R. Civ. P. Rule 45(a)(1)(D)(3) says: “The
clerk shall issue a subpoena, signed but otherwise in blank, to a party requesting it, who shall complete it before service.”
..........According to Local Rules for the U.S. Federal Court for
the District of Rhode Island, it says the following under “Subpoenas”: “Subpoenas, including proofs of service,
shall not be filed with the Court, unless otherwise ordered by the Court or required by the Federal Rules of Civil Procedure.
The parties in possession of such documents shall be responsible for preserving them and making them
available for use at trial and/or for other purposes required by the Court.” ..........Petitioner never had any intention
of “filing” – that is, requiring the District Court to preserve Petitioner's subpoena duces tecum in the
District Court's permanent records. Petitioner's purpose for the subpoena duces tecum is now what it was when Petitioner first
mailed it to the District Court – to obtain the Clerk of Court's signature so as to legally serve it on the U.S. Citizenship
and Immigration Service. The District Court's response to Petitioner's request for the Clerk of Court's signature was so illegally
uncommon that the Petitioner has not been able to find even one case where a Federal District Judge required his clerical
staff to violate Fed. R. Civ. P Rule 45(a)(1)(D)(3) and not sign an a subpoena duces tecum. ..........The District Court's decision not to sign Petitioner's subpoena duces
tecum was an act of fraud upon the District Court rendering its decision void ab initio.
Misprision of Felony/Law
of the Moser; Same Thing ..........In
the case Roberts v. United States, 445 U.S. 552 (1980); The District Court properly considered, as one factor in
imposing consecutive sentences on petitioner who had pleaded guilty to two counts of using a telephone to facilitate the distribution
of heroin, petitioner's refusal to cooperate with Government officials investigating a related criminal conspiracy to distribute
heroin in which he was a confessed participant.” Pp. 445 U. S. 556-562. . .In this case, the term “petitioner's
refusal to cooperate with Government officials” meant that the petition refused to report the crimes of his associates. ..........“Concealment of crime has been condemned
throughout our history. The citizen's duty to “raise the hue and cry” and report felonies to the authorities,
Branzburg v. Hayes, 408 U. S. 665, 408 U. S. 696 (1972), was an established tenet of Anglo-Saxon law. . .The first
Congress of the United States enacted a statute imposing criminal penalties upon anyone who, “having knowledge of the
actual commission of [certain felonies,] shall conceal, and not as soon as may be disclose and make known the same to [the
appropriate] authority. . .” Act of Apr. 30, 1790, §6, 1 Stat. 113. Although the term "misprision of felony"
now has an archaic ring, gross indifference to the duty to report known criminal behavior remains a badge of irresponsible
citizenship. This deeply rooted social obligation is not diminished when the witness to crime is involved in illicit activities
himself. Unless his silence is protected by the privilege against self-incrimination, see 445 U. S. infra, the criminal defendant,
no less than any other citizen, is obliged to assist the authorities. The petitioner, for example, was asked to expose the
purveyors of heroin in his own community in exchange for a favorable disposition of his case. By declining to cooperate, petitioner
rejected an "obligatio[n] of community life" that should be recognized before rehabilitation can begin. See Hart,
The Aims of the Criminal Law, 23 Law & Contemp. Prob. 401, 437 (1958). Moreover, petitioner's refusal to cooperate protected
his former partners in crime, thereby preserving his ability to resume criminal activities upon release. Few facts available
to a sentencing judge are more relevant to "'the likelihood that [a defendant] will transgress no more, the hope that
he may respond to rehabilitative efforts to assist with a lawful future career, [and] the degree to which he does or does
not deem himself at war with his society.'” ..........In
the case United States of America v. Richard Baumgartner, a jury convicted former Criminal Court Judge Richard Baumgartner,
of Knoxville, Tennessee, of five counts of misprision of a felony with regard to his knowledge of his own and his girlfriends
purchase and illicit use of illegal drugs. Richard Baumgartner was a judge, and quite possibly Jewish. Neither being a judge
nor a Jew gave him the constitutional right to engage in hiding the commission of a felony from law enforcement agencies.
In like manner, the Jewish Respondents do not have the constitutional right to rely on Law of the Moser to hide their Jewish
friends', their Gentile slaves' or their own crimes as some sort of twisted religious entitlement. Jewish-religiously-oriented RICO Crimes Are Based in Loyalty and Adherence to Jewish Law and Jewish Religion ..........Establishment Clause – First Amendment ..........“Congress shall make no law respecting an establishment of religion... or abridging
the freedom of speech, . . .and to petition the Government for a redress of grievances ” See Lemon v. Kurtzman,
403 U.S. 602 (1971). ..........“In 1947,
the U.S. Supreme Court decision Everson v. Board of Education incorporated the Establishment Clause (i.e., made it
apply against the states). In the majority decision, Justice Hugo Black wrote: 'The “establishment of religion”'
clause of the First Amendment means at least this: Neither a state nor the Federal Government can set up a church. Neither
can pass laws which aid one religion, aid all religions, or prefer one religion to another . . . in the words of Jefferson,
the [First Amendment] clause against establishment of religion by law was intended to erect 'a wall of separation between
church and State' ... That wall must be kept high and impregnable. We could not approve the slightest breach. In the Board
of Education of Kiryas Joel Village School District v. Grumet (1994), Justice David Souter, writing for the majority,
concluded that “government should not prefer one religion to another, or religion to irreligion.” ..........Lemon v. Kurtzman ..........Held: Both statutes are unconstitutional under
the Religion Clauses of the First Amendment, as the cumulative impact of the entire relationship arising under the statutes
involves excessive entanglement between government and religion. ..........In the case Lemon v. Kurtzman,8 403 U.S. 602 (1971), the Supreme Court of the United States ruled that Pennsylvania's 1968 Nonpublic Elementary
and Secondary Education Act (represented through David Kurtzman), which allowed the state Superintendent of Public Instruction
to reimburse nonpublic schools (most of which were Catholic) for the salaries of teachers who taught secular material in these
nonpublic schools, secular textbooks and secular instructional materials, violated the Establishment Clause of the First Amendment.
The decision also upheld a decision of the First Circuit, which had struck down the Rhode Island Salary Supplement Act providing
state funds to supplement salaries at nonpublic elementary schools by 15%. As in Pennsylvania, most of these funds were
spent on Catholic schools. ..........Lemon Test ..........In the case of the Jewish Respondents, Petitioner's
claim that Jewish religious encroachment, specifically encroachment of the Talmudic doctrine Law of the Moser is the reason
for the Government Respondents' refusal to file criminal complaints against those Jews who violated federal law is a fact.
Worse still, a horrible precedent has been set by U.S. Supreme Court justices Ruth Bader Ginsburg, Stephen Breyer and
Elena Kagan, who are also Jews. At the Jewish website Come-and-Hear (http://www.come-and-hear.com/editor/america_1.html), it says the following: ..........US
Supreme Court Warms to the Talmud: Approximately three years after Nathan and Alyza Lewin filed the Bryan v. Moore
amicus curiae brief — a notable event in itself — another notable event took place. A kosher dinner was held to
honor the establishment of the National Institute for Judaic Law (NIJL). The dinner was attended by 200 people, including
Supreme Court Justices Ruth Bader Ginsberg, Stephen Breyer, Antonin Scalia. Nathan and Alyza Lewin also attended. The site
of the dinner? The United States Supreme Court Building in Washington, DC. The Jewish Week reported the event in this manner: ..........On the same web page, near the top of the page,
it says: “In contrast, Talmud law insists on unequal justice under law. Talmudic law holds there is one law for Jews,
and one for Gentiles. This is not inconsistent with the Old Testament, in which LORD God decrees that Jews should not enslave
other Jews: Gentiles are the proper slaves of Jews.” Another doctrine that is actively taught by Rabbi Michael Broyde,
a professor at the Jewish institute that was attended by two of the U.S. Supreme Court's Jewish justices teaches the Talmudic
doctrine, Law of the Moser (see websites http://www.nijl.org/lecture2.html; http://www.come-and-hear.com/editor/moser-broyde/index.html). At Rabbi Broyde's website entitled Informing on Fellow Jews who Commit Crimes: Mesira in Modern Times, Rabbi Broyde says the following: Even though Jewish
law expects people to observe the laws of the land, and even imposes that obligation as a religious duty, the Talmud recounts
- in a number of places - that it is prohibited to inform on Jews to the secular government, even when their conduct is a
violation of secular law and even when their conduct is a violation of Jewish law. While there are a number of exceptions
to this prohibition (which are explained further in this section), the essential halacha was that Jewish law prohibits such
informing absent specific circumstances. Even if secular government were to incorporate substantive Jewish law into secular
law and punish violations of what is, in effect, Jewish law, Jews would still be prohibited from cooperating with such a system.
Indeed, classical Jewish law treats a person who frequently informs on others as a pursuer (a rodef) who may be killed to
prevent him from informing, even without a formal court ruling.
..........To convince this Court of the unconstitutional nature of the Talmudic
doctrine, Law of the Moser and its violation of the Establishment Clause of the First Amendment, one needs only study
the example of a brave Jewish man named Rabbi Nuchum Rosenberg (http://gothamist.com/2013/11/12/ultra-orthodox_sex_abuse_whistleblo.php), a private citizen who was attacked by members of the Satmar community for violating Law of the Moser and
reporting the sexual abuse of Jewish children by Jewish men. The article entitle Ultra-Orthodox Sex Abuse Whistleblower Describes
"Child-Rape Assembly Line” says the following: The
last we heard from ultra-Orthodox sex abuse whistleblower Rabbi Nuchum Rosenberg he was recovering from an assault involving
a cup of bleach tossed in his face on a Williamsburg sidewalk. Rosenberg, who was nearly blinded, has become anathema
in the tightly-knit Satmar community for exposing perpetrators of sexual abuse. Almost a year after the bleach attack, Vice
checks in on Rosenberg, who of course has more horrifying stories to tell:
On a visit to Jerusalem in 2005, Rabbi Rosenberg entered into a mikvah in one of the holiest
neighborhoods in the city, Mea She’arim. “I opened a door that entered into a schvitz,” he told me. “Vapors
everywhere, I can barely see. My eyes adjust, and I see an old man, my age, long white beard, a holy-looking man, sitting
in the vapors. On his lap, facing away from him, is a boy, maybe seven years old. And the old man is having anal sex with
this boy.” Rabbi Rosenberg paused, gathered himself, and went on: “This
boy was speared on the man like an animal, like a pig, and the boy was saying nothing. But on his face—fear. The old
man [looked at me] without any fear, as if this was common practice. He didn’t stop. I was so angry, I confronted him.
He removed the boy from his penis, and I took the boy aside. I told this man, ‘It’s a sin before God, a mishkovzucher.
What are you doing to this boy’s soul? You’re destroying this boy!’ He had a sponge on a stick to clean
his back, and he hit me across the face with it. ‘How dare you interrupt me!’ he said. I had heard of these things
for a long time, but now I had seen.”
..........In the article entitled Anti-Abuse Rabbi Says He's in Danger (http://www.thejewishweek.com/news/new_york/anti_abuse_rabbi_says_he's_danger), Rabbi Nuchum Rosenberg's life was again endangered for being a moser: “Speaking at a press conference outside the 90th Precinct Police Headquarters in Williamsburg,
Rabbi Rosenberg complained that police were unable to protect him. He pointed to . . .his forehead to indicate the spot where
he was hit. . . Rabbi Rosenberg said he was actually uncertain just what hit him on the forehead, saying it could have
been a pellet gun or even a rock. “A car flew by as I was walking, and I felt something hit me,” he told The Jewish
Week. “I didn’t see what it was.” The ad by the 33 rabbis and
others signed by the “Meshmeris Ha’Tznius” denounced Rabbi Rosenberg as a moser, one who endangers a Jewish
community by informing on it to secular authorities.” Rabbi Nuchum Rosenberg
claimed that the threats culminated last month when he was “shot” on Berry Street, near the Williamsburg Bridge
by unknown assailants.
..........A
New York Post article entitled Stoolie Is Dead to His Daddy says the following: A lot of people might like to wring his neck, but the sleazy real-estate mogul who ratted out everyone from politicians
to rabbis in a massive corruption case is apparently already as good as dead to his father. Israel Dwek — the father of Solomon “Shlomo” Dwek, who helped the feds nail three New Jersey mayors
and several rabbis in Brooklyn last week — plans to sit shiva for his son because he is so disgusted with his turning
on other Jews, reported the Web site PolitickerNJ.com. Shiva is the traditional
Jewish mourning period held after a family member dies. The father — citing
“the Talmudic Law of Moser that prohibits a Jew from informing on another Jew to a non-Jew” — renounced
his son from the pulpit at his synagogue in Deal, NJ, on Saturday, the site said. Israel
Dwek is a revered leader of the Sephardic Jewish community in the wealthy enclave.
..........The Talmudic doctrine, Law of the Moser,
the belief that Gentiles, especially those who are dark-skinned are meant to be enslaved and other racist beliefs are well-entrenched
in Jewish consciousness. As long as the part of the Jewish community that is employed by the Government Respondent practices
its culture privately, Gentiles will be tolerant of Jews' right to practice their culture. However, the line is clearly drawn
when U.S. Supreme Court Justices Ginsberg and Breyer voluntarily sponsor and attend the opening of a Judaic institute that
promulgates laws that defy the U.S. Constitution, are racist, or worse, give the appearance of governmental acceptance by
using the U.S. Supreme Court's building to hold a ceremony for the National Institute for Judaic Law, a Jewish religious organization
that openly advocates the Talmud, and harsher judicial treatment to be meted out against Gentiles. The encroachment of the
racist Jewish religion violates the Establishment Clause, the Free Speech Clause, the Petition Clause, the Due Process Clause
and the Equal Protection Clause of the First, Fifth and Fourteen Amendments. Neither the U.S. Constitution nor Constitution-savvy
Gentiles will tolerate being Jews' slaves because Michael J. Broyde or some other publicly-exposed-as-dishonest expert of
the Talmud received tacit approval from Justice Ginsburg, Justice Breyer and Justice Kagan. Gentiles, as in the past, will
resort to any means necessary before they are forced to be slaves to the Jews and their unconstitutional, religious and racist
whims – including reporting the encroachment and enforcement the racist Judaism to the United Nations Office of the
High Commission for Human Rights, something the Petitioner has already done. POINT
III ..........This Court's Jewish Justices
and Respondents' Discrimination of Petitioner Because of Her Race and Her Mental Health Status Violates Title II of the Americans
with Disabilities Act, the Federal Rehabilitation Act, the Establishment Clause of the First Amendment and Is an Abrogation
of the 14th Amendment Equal Protection Clause. ..........Title II of the Americans With Disabilities Act, 42 U.S.C. §§12131, 12132, prohibits
discrimination against individuals with disabilities, including those with mental illness. Similarly, Section 504 of the Rehabilitation
Act, 29 U.S.C. §794, provides that no person with a disability, including those with mental illness, shall: “solely
by reason of his or her disability, be excluded from participation in, be denied benefits of, or be subjected to discrimination
under any program or activity receiving Federal financial assistance.”
..........In the decision regarding Disability
Advocates, Inc. vs. Paterson, et al, Defendant Garaufis stated that “The Supreme Court held in Olmstead v.
L.C., 527 U.S. 581 (1999), that “[u]njustified isolation . . . is properly regarded as discrimination based on
disability,” observing that “institutional placement of persons who can handle and benefit from community settings
perpetuates unwarranted assumptions that persons so isolated are incapable of or unworthy of participating in community life.”
527 U.S. at 597, 600. The “integration mandate” of Title II of the American with Disabilities Act, 42 U.S.C. §12101
et seq., and Section 504 of the Rehabilitation Act, 29 U.S.C. §791 et seq., as expressed in federal regulations and Olmstead,
requires that when a state provides services to individuals with disabilities, it must do so “in the most integrated
setting appropriate to their needs.” The “most integrated setting,” according to the federal regulations,
is “a setting that enables individuals with disabilities to interact with non-disabled persons to the fullest extent
possible.” 28 C.F.R. §35.130(d); 28 C.F.R. pt. 35 app. A. ..........Further, Title II of the Americans With Disabilities Act requires that “a public entity
shall administer services, programs, and activities in the most integrated setting appropriate to the needs of qualified individuals
with disabilities.” See 28 C.F.R. §35.130(d). ..........In
the landmark decision Olmstead v. L.C., 527 U.S. 581 (1999), the U.S. Supreme Court held that these provisions of law are
violated when a state places people with mental illness in “unjustified isolation,” and that a person with mental
illness may sue the state for failing to place him or her “in the most integrated setting appropriate to [his or her]
needs.” Civil Rights Act of 1964, Title VI, §601 Nondiscrimination in Federally Assisted Programs “No person in the United States shall, on the ground of race, color, or national origin,
be excluded from participation in, be denied the benefits of, or be subjected to discrimination under any program or activity
receiving Federal financial assistance.” Fogg v. Gonzales, Nos. 05-5439, 05-5440. POINT IV ..........This Court's Jewish Justice should recuse themselves because of their religious bias pursuant
to 28 USC §455 and §144. ..........In
1994, the U.S. Supreme Court held that disqualification is required if an objective observer would entertain reasonable questions
about the judge's impartiality. If a judge's attitude or state of mind leads a detached observer to conclude that a fair and
impartial hearing is unlikely, the judge must be disqualified.” [Emphasis added]. Liteky v. U.S., 114 S.Ct.
1147, 1162 (1994). ..........Liljeberg
v. Health Services Acquisition Corp., 486 U.S. 847, 108 S.Ct. 2194 (1988) (what matters is not the reality of bias or
prejudice but its appearance); United States v. Balistrieri, 779 F.2d 1191 (7th Cir. 1985) (Section 455(a) “is
directed against the appearance of partiality, whether or not the judge is actually biased.") ("Section 455(a) of
the Judicial Code, 28 U.S.C. §455(a), is not intended to protect litigants from actual bias in their judge but
rather to promote public confidence in the impartiality of the judicial process.”). ..........Section 455(a) “requires a judge to recuse himself in any proceeding
in which her impartiality might reasonably be questioned. “Taylor v. O'Grady, 888 F.2d 1189 (7th Cir. 1989).
In Pfizer Inc. v. Lord, 456 F.2d 532 (8th Cir. 1972), the Court stated that “It is important that the litigant
not only actually receive justice, but that he believes that he has received justice.” ..........Our Supreme Court has ruled and has reaffirmed the principle that “justice
must satisfy the appearance of justice”, Levine v. United States, 362 U.S. 610, 80 S.Ct. 1038 (1960), citing
Offutt v. United States, 348 U.S. 11, 14, 75 S.Ct. 11, 13 (1954). ..........“Recusal under Section 455 is self-executing; a party need not file affidavits in support
of recusal and the judge is obligated to recuse herself sua sponte under the stated circumstances.” Taylor
v. O'Grady, 888 F.2d 1189 (7th Cir. 1989). ..........Should
a judge not disqualify himself, then the judge is violation of the Due Process Clause of the U.S. Constitution. United
States v. Sciuto, 521. ..........F.2d
842, 845 (7th Cir. 1996) (“The right to a tribunal free from bias or prejudice is based, not on section 144, but on
the Due Process Clause.”). POINT V Petitioner's Request to Proceed in forma pauperis for Review of Her Allegations of Respondents
Constitutional and Human Rights Violations Satisfies the "Good Faith” Requirement of Coppedge v. United States ..........According to Coppedge v. United States,
“The requirement that an appeal in forma pauperis be taken “in good faith” is satisfied when
the Respondent seeks appellate review of any issue that is not frivolous. Pp. 369 U. S. 444-445. ..........According to Coppedge vs. United States, “If, with such
aid, the applicant then presents any issue for the court's consideration which is not clearly frivolous, leave to proceed
in forma pauperis must be granted. P. 369 U. S. 446. If it is the practice of a Court of Appeals to defer rulings
on motions to dismiss paid appeals until the court has had the benefit of hearing argument and considering briefs and
an adequate record, it must accord the same procedural rights to a person applying for leave to proceed in forma pauperis.
P. 369 U. S. 448.” ..........As stated
in Coppedge v. United States, “If, with such aid, the applicant then presents any issue for the court's consideration
which is not clearly frivolous, leave to proceed in forma pauperis must be granted. Violation of Petitioner's civil and human
rights by the Government Respondents are serious issues. As a private citizen with bipolar disorder, the Petitioner has the
right to sue state agencies who have abrogated by violating the Equal Protection Clause of the Fourteenth Amendment, leaving
states and their agencies with no ability to claim any form of immunity. Coppedge allows in forma pauperis
litigants to file suit for issues that are not frivolous. Since Petitioner has satisfied Coppedge, this Court
must allow the Petitioner to proceed in forma pauperis. CONCLUSION ..........Based
upon the foregoing, this Court must dispense with the practice of Law of the Moser, which is, in fact, the commission of misprision
of felony. This Court must arrest the following individuals for their commission of the following crimes: 1) misprision of
felony, racketeering/RICO, obstruction of justice, identity theft and aggravated identity theft; and those other crimes that
Petitioner has proven occurred. This Court must reverse the District Court’s criminal dismissal of her Verified Complaint
and remand the action to an unbiased judge for a determination of those issue raised pertaining to Respondents' commission
of federal felonies and pertaining to Respondents' violation of Petitioner's civil and human rights based on the U.S.
Government's relationship as a signatory with the United Nations since 1948. Dated: Brooklyn, New York
May 28, 2014 CHERYL D. UZAMERE APPEARING PRO SE
 _________________ Cheryl D. Uzamere 1209 Loring Avenue Apt.
6B Brooklyn, NY 11208 Tel.: (718) 235-6836 Fax:
(718) 235-1290 E-mail: cuzamere@netzero.net =================================================== 1 Artsot Ha-Hayyim, page 52a, 52b: “In 1992 a book was published by a leading member of
the Satmar community entitled Artsot Ha-Hayyim. On p. 52 he explains, and quotes other rabbis, that the reason Abraham Lincoln
was killed was because he freed the blacks. this is also the reason why Kennedy was killed, i.e. because he was good to
the blacks. He continues by saying that this will be the fate of any who adopt a progressive attitude towards blacks,
because they are meant to be enslaved. His source for this is Ham's curse.” (http://www.ottmall.com/mj_ht_arch/v15/mj_v15i20.html#CDX). The Legends of the Jews
- Ginsburg, Vol. 1, p. 169: “The descendants of Ham through Canaan therefore have red eyes, because Ham looked upon
the nakedness of his father; they have misshapen lips, because Ham spoke with his lips to his brothers about the unseemly
condition of his father; they have twisted curly hair, because Ham turned and twisted his head round to see the nakedness
of his father; and they go about naked, because Ham did not cover the nakedness of his father. Thus he was requited, for
it is the way of G-d to mete out punishment measure for measure.” (http://classiclit.about.com/library/bl-etexts/lginzberg/bl-lginzberg-legends-1-4h.htm). Midrash
Rabbah (Soncino) Vol. 1, p. 293: “AND HE SAID: CURSED BE CANAAN (Breishit 9:25): (Commentary omitted)...R. Huna
also said in R. Joseph's name: You [i.e. Noah is speaking to Ham) have prevented me from doing something in the dark [i.e.
cohabiting with his wife], therefore your seed will be ugly and dark-skinned. R. Chiyya said: Ham and the dog copulated
in the Ark, therefore Ham came forth black-skinned while the dog publicly exposed its copulation.”(http://www.annomundi.com/history/midrash_rabbah_genesis_xxxvi_7.htm) 2 Appellant's divorce is now a matter of New York State case law, Uzamere vs. Uzamere, 2009,
NY Slip Op 90214 [68 AD3d 855] such that Petitioner's ex-husband's identity is a res judicata matter of law that no other
court has a right to question. Mortimer Zuckerman's use of the Daily New to question an appellate court's decision was racist
and wrong. The U.S. Supreme Court's Jewish Justices' refusal arrest him was wrong to the point of being criminal and demonic.
Any mention of Appellant's divorce are only to establish those torts that arose during Appellant's litigation of her divorce
action. Appellant respectfully directs this Court's attention to Ankenbrandt v. Richards, 504 U.S. 689 (1992): “
. . . while it is not inconceivable that in certain circumstances the abstention principles developed in Burford v. Sun
Oil Co., 319 U.S. 315, might be relevant in a case involving elements of the domestic relationship even when the parties
do not seek divorce, alimony, or child custody, such abstention is inappropriate here, where the status of the domestic
relationship has been determined as a matter of state law, and in any event has no bearing on the underlying torts alleged.
Pp. 15-16.” No amount of criminal, Jew-biased misapplication of the aforementioned case will change how it was originally
applied by the U.S. Supreme Court; however, it will instigate a human rights complaint to the United Nations High Commission
for Human Rights, along with an uploading of appellate judges' criminal decision to Appellant's website http://www.thecrimesofsenatoruzamere.net and to the e-mails of as many world leaders and/or their attorneys as are willing to listen. 3 22 CFR §92.65 - Depositions to prove genuineness of foreign documents – (a) Authority
to execute commission. Under the provisions of section 1 of the act of June 25, 1948, as amended (sec. 1, 62 Stat. 834,
sec. 53, 63 Stat. 96; 18 U.S.C. 3492), a diplomatic or consular officer may be commissioned by an United States court to
take the testimony of a witness in a foreign country either on oral or written interrogatories, or partly on oral and partly
on written interrogatories, for the purpose of determining the genuineness of any foreign document. . .” 4 LifeNet suicide/mental health hotline was fraudulently contacted by Respondent U.S. Marshal
Service for the Eastern District of New York and told that Petitioner threatened Respondent Nicholas with bodily harm and
employees of the Center for Medicare and Medicaid Service. 5 New York Wiretapping Law: New York's wiretapping law is a "one-party consent" law.
New York makes it a crime to record or eavesdrop on an in-person or telephone conversation unless one party to the conversation
consents. Please visit web page http://www.thecrimesofsenatoruzamere.net/federallawsuit.html to hear Petitioner's conversation with Respondent Davis. 6 18 USC §2709(c): “If the Director of the Federal Bureau of Investigation. . .certifies
that otherwise there may result a danger. . .to the life or physical safety or any person, no wire or electronic communications
service provider, or officer, employee, or agent thereof, shall disclose to any person. . .that the Federal Bureau of Investigation
has sought or obtained access to information or records under this section.” 7Federal Protection Service. This is a division of Respondent U.S. Department of Homeland Security.
|