Sie sind auf Seite 1von 7

1 TWENTY-SECOND JUDICIAL CIRCUIT(Second Appellate District)

2 FOR MCHENRY COUNTY, ILLINOIS

3 Case No.: 09 MR 399


XXXXXX XXX XXX X (aka Chalice Jackson)
4 PATRIOT’S HEART MEDIA NETWORK, )
INC., Members JOHN DOES and JANE )
5 DOES 1-20, Registered Voters and Members )
of PATRIOT’S HEART MEDIA NETWORK, )
6 INC., (728 NW HWY, Fox River Grove, IL )
60021 847-304-8800) )
7 EMERGENCY: MOTION TO
SEAL THE DOCUMENTS
8 Petitions,

9
MCHENRY COUNTY GRAND JURY )
10 FOREMAN AND GRAND JURY MEMBERS )

11
The matter of Voter Fraud is an emergency of the utmost importance to our County, State
12
and Country. Petitioner seeks an EMERGENCY appearance before the McHenry County
13
Grand Jury.
14
I, the undersigned Petitioner, appearing pro se as an individual, as a member of the Press
15
and as the Founder of Patriot’s Heart Media Network, Inc (a Citizen run media outlet) in
16
the role of “spokesperson” for John and Jane Does, members of Patriot’s Heart Media
17
Network, Inc, in accord with the directions of personal convictions and loyalty to the
18
Constitutional Republic of the United States of America, and the Illinois Constitution, on
19
oath and before God Almighty, set forth this prayer by way of Petition in the Twenty-
20
Second Judicial Circuit (Second Appellate District) McHenry County, IL seeking
21
EMERGENCY redress of grievances.
22

23
Here comes the petitioner in distress and threatened from those who seek to do her harm
24

25 for her efforts to testify before the grand jury about election fraud in local, state and federal

26 elections.

Page 1 – PETITION – EMERGENCY MOTION TO SEAL THE FILE


1 I. Brief History:

2 The Petitioner has filed to appear before the McHenry County Grand Jury on an Election

3 matter. This petition was denied on January 20th, 2010. The petitioner is preparing to

4 appeal that decision and is still within the appeal period. In addition, the Petitioner is
5 preparing a separate filing related to the current election, which she will file on Thursday.
6

7 When before the court on January 20th, the petitioner had in her petition, information she
8 planned to file with the court and she testified accordingly. Judge Prather ruled without
9
considering the documents but she accepted the documents into the record. Within those
10
documents was the remedy for the file to be sealed.
11

12
II. Statement of Facts:
13
1. Witness testimony before Grand Juries is protected.
14
2. The petitioner seeks to testify before the McHenry County Grand Jury. At the
15
request of the Judge and the State’s Attorney, the petitioner provided detail
16
testimony.
17 3. This testimony is now being used as a threat to harm and intimidate the petitioner
from testifying.
18

19 4. Besides the right to testify in secret before a grand jury, even if she has not been
permitted to do so, the intended testimony falls under the same protections
20
5. Accommodations for the burden and personal sacrifice imposed on citizenry
21 when they do report election fraud is reflected in Illinois Law by affording special
accommodations of confidentiality to those that contest elections as
22
encouragement for them to take the risk.
23
“So that the public is encouraged to report irregularities, the names of the complainants shall be
24 kept confidential.” http://www.elections.state.il.us/AbouttheBoard/InvestigationsDiv.aspx

25

26
Page 2 – PETITION – EMERGENCY MOTION TO SEAL THE FILE
1 6. Irreparable Harm will be done to Plaintiff if personal testimony designed for the

2 grand Jury and the States Attorney and Judge, only is made public.

3 7. Petitioner intends to file an appeal on the grand jury matter before the court.

4 8. Even if the Petitioner’s motion does not succeed, her testimony was requested and
5 was intended as testimony for the grand jury and not as public information.
6 9. XXXXXXXXX is Owner of the Jack Ryan account on Scribe.com has agreed to
7 take service for actions related to this matter.
8 10. XXXXXXXXX, through members of his Jack Ryan account, announced yesterday
9
his intention to post the private testimony of the petitioner’s testimony on his
10
website.
11
11. XXXXXXXXXX is a co-owner of sorts and a Moderator on the Politijab website
12
which has targeted the petitioner as a result of her attempt to appear before the
13
grand jury.
14
12. The petitioner has ample evidence of the Defendant’s activities especially as relates
15
to him targeting the plaintiff personally and through his community, Politijab.
16
13. The petitioner feels personally harmed and targeted by this organization and others
17
who wish to prevent her from testifying about voter fraud .
18
14. The Petitioner is prepared to testify that she has been harmed by her testimony
19
being made public:
20
A. Loss of privacy
21
B. Loss of income at work
22

23 C. Loss of enjoyment of her work

24 D. Loss of business assets

25 E. Includes strangers coming to her house and removing mail from her mail box

26
Page 3 – PETITION – EMERGENCY MOTION TO SEAL THE FILE
1 F. Including strangers casing her house

2 G. Includes having a special police watch on her house.

3 H. Petitioner’s family members have been personally targeted. Specifically, her

4 Father, her grandfather and her deceased son, and now her other family
5 members.
6 I. The petitioner wrote about the organization, Politijab, which has specifically
7 targeted her, especially after she filed the motion to appear before the Grand
8 Jury.
9
J. Members of Politijab have obtained a list of the petitioner’s family from her
10
son’s obituary, located in the XXXXXX. Members of this community are
11
posting her family member names on the Internet to hurt and to intimidate her.
12
K. Members of the same community have attempted to contact her family through
13
Twittering to them. (especially YYYYYYY)
14
L. Members of this group have targeted the petitioner at her place of business with
15
Patriot’s Heart Network.
16
M. Petitioner had to contact her family and warn them they were now targeted,
17
deeply distressing the petitioner and her innocent family.
18
N. Yesterday, leaders from this group and through XXXXXXXXX, received the
19
court documents related to the petitioner request to appear before the grand
20
jury.
21
O. While on blogger radio last night, this group announced their intention to use
22

23 the information there, to post it publically today and especially joked about the

24 confidential information about the petitioner’s financial situation.

25

26
Page 4 – PETITION – EMERGENCY MOTION TO SEAL THE FILE
1 P. Thus, publically announcing their intention to hurt her, knowing she would hear

2 their announcement, they also went to her chat room and posted it there, to

3 cause her to feel intimidated.

4 Q. It is well known to his group and others that the petitioner does not want her
5 private information, public, thus targeting do so, to further intimidate and
6 influence her testimony.
7 R. XXXXXXXXX, part owner and moderator of Politijab and “Jack Ryan” on
8 Scribe has publically attacked the petitioner and announced his intentions to
9
post the court documents with her testimony designed for the grand jury, the
10
state’s attorney and the court, and to make it public.
11
S. Politijab members have purposely targeted the plaintiff following her request to
12
appear before the Grand Jury. The individuals from Politijab have received this
13
information and announced last night they plan to use it to further harm the
14
petitioner.
15
T. Petitioner is harmed greatly if they succeed in their plans
16
U. Petitioner had a stranger come to her home and get into her mailbox shortly
17
after initiating this action.
18

19
III. Remedy
20
1. Therefore, as the plaintiff still has appeal options, and is planning to do so, she seeks
21
for the court file 09 MR 399 be sealed so no one can publish this information until it
22

23 has made its way through the courts

24

25

26
Page 5 – PETITION – EMERGENCY MOTION TO SEAL THE FILE
1 2. Plaintiff seeks for XXXXXXXXXd as owner of the Jack Ryan account and leader of

2 Politijab, be temporally restrained from revealing or publishing any court

3 documents related to 09 MR 399

4 3. That petitioner be known as Chalice Jackson in relation to all actions related to 09


5 MR 399
6

10

11

12

13

14

15

16

17

18

19

20

21

22

23

24

25

26
Page 6 – PETITION – EMERGENCY MOTION TO SEAL THE FILE
1
VERIFICATION OF CLAIMS
2
The Statements and Claims made herein are the statements and claims of the petitioner’s
3
and those statements incorporated herein of others as part of the public record concerning these
4 matter. On oath and subject to the laws of perjury, the undersigned petitioner affirm and assert
that the preceding allegations and factual statements, including those factual statements alleged
5 on information and belief are true to the best of her knowledge, and that she has asserted these
claims, being legally competent to testify to these matters, and having acted voluntarily without
6 promise of payment or by threat; in good faith and based upon her understanding of the United
States Constitution and the Illinois Constitution, and the duly enacted laws which spring there
7 under.

8 On my sacred honor and in witness before my Lord God.

10

11 ________________________________
12 XXXXXX XXX XXXXXX (AKA CHALICE JACKSON)
13 AND FOUNDER OF PATRIOT’S HEART MEDIA NETWORK,
IT’S DULY AUTHORIZED REPRESENTATIVE,
14
Signed from this location
15 728 NW Hwy Fox River Grove, IL 60021
Phone 847-304 -8800 on this 2nd day of December, 2009
16

17

18

19

20

21

22

23

24

25

26
Page 7 – PETITION – EMERGENCY MOTION TO SEAL THE FILE

Das könnte Ihnen auch gefallen