Monday, August 21, 2006

Subpeona For Demand Of Accountability

TO: THE U.S. COURT OF APPEALS FOR THE NINTH CIRCUIT
95 SEVENTH ST. P.O. BOX 193939
SAN FRANCISCO, CA 94119-3939

DEAR ASSOCIATES:

ON OR ABOUT DECEMBER 11, 1998, I FILED A MOTION TO SUSPEND THE POWERS OF THE TRUSTEE ALONG WITH A CONSOLIDATION OF ISSUES. SINCE THEN I HAVE BEEN GIVEN THE SILENT TREATMENT ABOUT MY PORTION OF THE COSMA TRUST FOR THE SOME OF APPROXIMATELY $200,000.00. I HAVE HEARD RUMORS IN THE FORM OF WHISPERING, HISSING, AND MURMURERS. ACCORDING TO FAST TRACK RULES OF THE COURT, ALL OF THESE MATTERS ARE WAY OVERDUE. SINCE I WAS NEITHER GIVEN DUE PROCESS OR AFFIRMATIVE ACTION AS REQUIRED BY LAW, I AM PARTICULARY CONCERNED. MAYBE YOU CAN TELL THE FOLKS IN AMERICA WHY JUSTICE TAKES SO LONG IN SUCH A HEINOUS CASE LIKE MINE SO THAT WHEN IT'S THEIR TURN, THEY WILL KNOW THEY TOO WILL BE LEFT IN A STATE OF CONFUSION AND DEVASTATION AS WELL. with all due respect, kini. Kini Cosma-Nelms 2660 Shasta Way #4 Klamath Falls, OR 97603 (541) 884-1085

UNITED STATES COURT OF FEDERAL CLAIMS OR PROSECUTING COURT THEREIN Kini Cosma-Nelms, Plaintiff, vs. THE UNITED STATES DEPARTMENT OF JUSTICE, UNITED STATES DISTRICT COURT-NORTHERN DISTRICT OF CALIFORNIA, UNITED STATES DISTRICT COURT-EASTERN DISTRICT OF CALIFORNIA, ET SEQ. Defendant(s). Case No.: 1:05-CV-01201-LAS SUBPOENA TO PRODUCE DOCUMENTS FOR FUTURE ANTICIPATED JURY TRIAL TO: THE PEOPLE OF THE UNITED STATES OF AMERICA; PUBLIC AND PRIVATE AGENCIES THEREOF, THE UNITED STATES DEPARTMENT OF JUSTICE, THE UNITED STATES DISTRICT COURT-NORTHERN DISTRICT OF CALIFORNIA, UNITED STATES DISTRICT COURT-EASTERN DISTRICT OF CALIFORNIA, THE PLACER COUNTY COURT, THE CIRCUIT COURT OF THE STATE OF OREGON FOR THE COUNTY OF KLAMATH, THE UNITED STATES DISTRICT COURT, STATE OF OREGON, THE NAPA COUNTY SUPERIOR COURT OF THE STATE OF CALIFORNIA AND TO THEIR ATTORNEYS OF RECORD (herein referred to as public and private persons):

PLEASE TAKE NOTE under the provisions of the Federal Rules of Civil Procedure §1987 (c), And, the provision of the anti-terror Patriot Act authorizing the Inspector General to review complaints about civil liberties and civil right abuses involving Justice Department Personnel, Kini Cosma-Nelms hereby demands that on or before the date set for trial in the matter of this case, SELF-DEFENSE, et. seq., produce ALL documents, records, transcribed notes, police reports described as set forth in Exhibit A attached hereto, at the entitled Court FOR WHICH ANTICIPATED PROSECUTION WILL BE DETERMINED. Dated this 19th day of July, 2006 _________________________________ Kini Cosma-Nelms

EXHIBIT A

I. The witness, public and private persons, has possession or control of the following documents or other things and shall produce them at the time and place specified in the Court prosecution occurs. All documentation proclaiming the intentional and malicious civil right violations, human right violations, the resolution and accountability of the Cosma Trust, and damages thereof in the matter of Kini Cosma-Nelms, Case No. 1:05-CV-01201-LAS, filled out, signed and filed in such Courts executed on or about the years from 1989-2006. II. Good cause exists for the production of the documents or other things described in paragraphs 1 of page 1 for the following reasons: a) To show the pattern of intentional deprivation of civil and human right violations and the principal manifestation for the occurring execution that was designed to bring about the present prosecution, distinct and palpable injuries, to cripple and handicap and allow bodily injury, nervousness, self-inflicted damages, deprivation of property, and ongoing emotional distress and psychiatric injuries would result in the imminent death of Kini Cosma-Nelms while she was engaged in constitutionally protected activity and in the privacy of her home. b) To show, inter alia, the onset when public and private persons began to flout the law with ongoing patterns of propensities for extortion, psychiatric injuries, violence, deliberate indifference, ongoing surveillance without a cause, provocation of outrage through the use of illegal tactics, and retaliation against Kini Cosma-Nelms as a result of her being a complaining witness while redressing her grievances. c) To show public and private person would not be held accountable, nor have to pay damage claims to Kini Cosma-Nelms nor award summary judgments so that: (i) Kini Cosma-Nelms could not afford effective counsel and have to suffer cruel and unusual hardships (ii) Malicious prosecutions could be justified (iii) Whatever financial resources Kini Cosma-Nelms left would be exhausted (iv) Kini Cosma-Nelms could be compelled to submit by force or by threat of imminent death, serious bodily injury, extreme pain or kidnapping; (v) To substantially impair Kini Cosma-Nelms’s power to appraise or control her conduct. III These documents or other things described in paragraph 1, page 1, are material to the issues involved in this case for the following reasons: a) To show there was an orchestrated litany of Kini Cosma-Nelm’s bedrock rights violated. That it could be said Kini Cosma-Nelms suffered the present prosecution and coinciding injuries described in the her complaints as a result of not being appointed Assistance of Counsel for her defense (Amendment VI) while incarcerated at the onset of the extortion by public officials (Subtitle D-Equal Justice For Women in the Courts Act §40401. Short title) b) To show the pattern, not predicated upon a single act, but consisting of a persistent and continuous course of conduct that has had the ultimate effect of rendering authorized violations of the law by both public and private persons (Extortion, retaliation, deliberate indifference, violence) c) To show that a form of legalized murder has been implemented d) To show there was not any concerted effort to investigate Kini Cosma-Nelm’s substantiated complaint(s) since 1989. (Affirmative action was denied and all of her reports and complaints were ignored, dismissed, and unresponded to. I, Kini Cosma-Nelms, hereby declare under penalty of perjury the foregoing is true and correct. Dated: July 19, 2006 ______________________________ Kini Cosma-Nelms,

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