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1 Deposition Perjury Form

4
I, the undersigned, The County of Orange Each Government and Health
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and Mental or Behavioral Health either Employee, agent- doctors of any
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sort of Psychiatry Value in Recidivist trying to kill us- Fraudulent acts in
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miss diagnosis with stated wrongly he claim is no binding ….When if
8
nevers he case any law School in Harvard to Cornell Pepperdine to Loyola
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and when as any ma came forward forward to produce and of ceSuperior
10
Court of California
11

12
Courtroom Evidence Exhibits http://www.desbic.com
13

14 Exhibits 002-012

15
Exhibits (a)
16

17 Exhibits entire pages contents


18
PREFACE 1
19
(i) As clearly laid out in this descriptive and Courtroom evidence exhibit, (a),
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"cartoon phenomena" is visible on map; "binding topography" here situated means:
21 "the Entity's", "the Image", "the Vision" and-s / or "act of God's almighty"; deposes
22
criteria of phony assertion bringing to Courts'.

23 (ii) The above and under entitled exhibitions alleges: "cartoon phenomena" with Gif
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and precision clarity a way to exact contentions. A God given ways and means of
clarifying factual and lawful opinions as to treat more sumptuously the difference and
25 impositions imposed by Jew, gentile good and despicable intentions toward one
26
another's right and rights.

27 Gif Sequester Photography Exhibits


28
Below and Entitled Exhibits 002 through 012
NO. ___
1
PETITIONER(S): IN THE DISTRICT COURT
2 William Williamson/Steven Arroyo
JUDICIAL
3
DISTRICT
4
DEFENDANT(S):
5
County of Orange/WIT COURT
6 Summary's/Care-Coordinators Research/ O C
Sheriff Dept/O C Probation
7 {COUNTY,
STATE}
8
COMPLAINT FOR DEFAMATION OF CHARACTER
9
I, the Petitioner, residing at 15432 Jackson St. Midway City Ca 92655
10 have been employed years, and
at Self- Musician-Volunteer-Other for 43 during
11
that time have maintained a good reputation in My eye witness account of vision on map
12 regards to of
topography Africa in so stipulating miracles and corresponding demands and disclosures brought
13 forward
14
It is my belief, based on the information available to me, that the Defendant(s) listed above
was/were agents or codefendants of the agents that produced the alleged defamatory
15 statements against me. I believe the Defendant(s) was/were of sound mind at the time and
malicious in intent. They therefore unlawfully caused me injuries and damages for which I
16
seek reparations.
17 , the Defendant(s)
On 1/1994-12/2015 published/said
18 "Plaintiff is 5150"- "psychotic felon” “delusional" "threat" "lunatic" and harbor a grudge to
these aims.
19

20 Included are these County employed by named in our reference


exhibit http://www.desbic.com : County contracted Sheriff deputies, OC Probation Dept.,
21 attended physicians/clinicians and care coordination depictions-conspired with OC County
22
Supervisors, Naval Intelligence and Secret Service attention to defame-liable and assault our
character and intentions along with County Probation and WIT Court Santa Ana ledger's, this
23 and with the intent to obstruct justice, inflict injuries, cause incapacitation or kill, failed to
respect and regard their sworn oaths in this depiction and accounts of so called unprecedented
24
and profound Divine Intervention-like event aided by Celestial audio and visual evidence we
25 produced.
In furtherance's, resorted to foul play and abusive behaviors, institutionalized, imprisoned,
26 poisonings, drugging, labeled our intention and character as disrespectful and insubordinate
rendered statements as "psychotic felon, maniac, schizophrenic, crazy person, threat, liar-
27
threat to the community's"/since by 1994 when filming was situated, to prove the Entity in
28 question was authentic and potentially a public safety resource and recidivists psycho by the
accused.
1

2 We were labeled an intransigent foe and mentally ill doer of evil since Westminster
Behavioral assessments began in 1992. Taken into custody for over 8 years total, and losses of
3 incremental and high income opportunities were despised and sabotaged. Our efforts to be
4
construed as a hand were willfully and coincidentally described to be that of confused
handicap.
5
The subject of visual evidence to support our effort in these our endeavor to share of the
6
Miracle oand Vision's' of our Lord's Countenence and in so decided identified police and
7 military communication line capability with Celestial being available for service in these
legitimate areas of free speech purposely mis-construed and described neither Entity on maps
8 of Africa in question nor attention to the recent years interception policy's we catch at Wendy
S. Lindley a former Judge's a tentative and vindictive contention.
9

10 Namely 1993 American Map Corporations Maps of Africa cartographic materials and displays
we provided whereby the Entity in question can be witnessed and as described "cartoon
11 phenomena" or facial characters on the map which indicated a God's likes-and dislikes.
12
The telepathic-like inter-link that of this cartoon phenomena"-like reflector fields does advise
13 on matters of Providence, safety and cemetery misconduct by the accused who so desire
confrontation so contended. The defendants recorded information brought to the health
14 associates of color origins hinder the Plaintiffs effort to greatly appreciate this these
cartographic and topographical display in his own idea of standing up to his flag, countrymen,
15
public safety and abuse of said cemetery and alien technology's set aside by intercepted agents
16 of the Court records to convene when someone kills us so contended.
The following aspects of the material are explicitly
17 false: Plaintiff's is not lying -psychotic felon-
18 Plaintiff is /was well behaved/reliable-/did -does not suffer hallucinations/ is not a terrorist/is
honest/
19 In a proximate result of the aforementioned defamation, I have suffered loss, recrimination,
injury, suffering and damages in the following ways:
20

21 I suffered custody for nearly 8 years, and loss of potential high income opportunities or to be
of help
22

23 and service for an Enterprise or U S. government- 22 years/falsely and maliciously diagnosed-


administered forcible psychotropic uncomfortable injections and pills 22 years 24/7/365--
24 Intimidated my likeness to a host and witness accounting of Entity in question-with prison-
institutionalization threats and brazen remarks to conceal the communication ability of Entity
25
aka "cartoon phenomena" in order to do un regulated cemetery dunder and regression in inter-
26 planetary wheels our contention.
I seek punitive damages, compensatory damages according to proof, the cost of the
27
lawsuit and whatever else the court sees just and fit to award.
28
I seek payment in the amount 60 thousand dollars per annual
of increments; that and reimburse
1
yhe nice folks at SSI by which
2 we are extremely in debted.
Open ended.
3 Steven Van Arroyo and William P Williamson Host and
4
Deity's
PETITIONER SIGNATURE
5 Subscribed and sworn to before me day
this 16 of December 20 15
6
(Notary Public),
7 County.
My commission
8 expires 20
9
Waived as admissible Court record that of these privileged descript and accountings.
10 To our Notary's desire to stipulate did not see-seek nor have any such knowledge of
11 the Global telepathy in all ears, deaf, dumb and blind since January of 1994 when
video records began.
12

13 Causes of Judgment Legal Actions


14

15 Against the County of Orange California


16
PAGES UNDER CONSTRUCTION 16 DEC 2015
17
WILLIAMSON& ARROYO'S LTD.
18

19 DESBIC Esquire 15432 Jackson


20 Midway City Ca. 92655
21
Superior Court's' (WIT COURTS)
22

23
County' of Orange California 92717

Judge
24 William P. Williamson/ ) Case No.: No. [Pending Order]
25
Steven V. Arroyo ) [Discovery of Entity's
26
Plaintiff, ) Perjury Disclosed
27
vs. ) Abuse of Privileged Information]
28
County of Orange, HB Westminster Police)
1
Departments, O C Sheriff Department,
2 )
WIT Courts, O C Probation Department,
3 )
O C MHA (Mental Health),
4
)
5 Defendant
)
6

7
)

8 Dated this 16th day of December 2015


9
DESBIC Esquire 15432
10 Jackson

11 #304 Midway City 92655


12
Judge's William
Williamson/Arroyo's
13

14 December 16 2015
15
Superior Court of California
16

17
Attorneys for Plaintiff

18 WILLIAMSON / ARROYO LTD


19
SUPERIOR COURT OF THE STATE OF
20
CALIFORNIA IN AND FOR THE COUNTY
21

22 OF ORANGE PLAINTIFF'S NOTICE THAT

23 OF DEPOSITION OF DEFENDANT
24

25 vs.
26
Defendants.
27
TO DEFENDANT AND ITS ATTORNEYS OF RECORD:
28
PLEASE TAKE NOTICE that plaintiff will take the deposition of defendant's, (COUNTY OF
1
ORANGE CA. ) pursuant to Section 2025 of the Code of Civil Procedure at the offices of Law
2 offices of web address http://www.countyintrouble.blogspot.com that of Law Degrees
Williamson & ARROYO 15432 X Midway City 92655 Street, beginning on January 01 at 9:30
3 a.m. If not completed by 3::30 pm the deposition will continue at such times as are specified by
plaintiff's counsel after conferring with defendant's counsel. The deposition will be recorded by
4
Entity's or Wendy S. Lindley's Judge of record's Court reporter.
5
The matters on which examination is requested are:
6

7 Chapters of Charges Described hereby-The Stipulated "Accused"


8 § 1621. Perjury; §; Title 18 › Part I › Chapter 115 › § 2381 TREASON
9
(1) examination about what documents, if any, are in the possession of defendant COUNTY OF
10 ORANGE CA. in each of the categories listed below;
11 (2) examination about the disposition of any documents in any of the categories below which
12
used to be in the possession of defendant COUNTY OF ORANGE CA. but which are no longer
in its possession;
13
(3) examination to identify and authenticate the documents which defendant COUNTY OF
14
ORANGE CA. is directed to provide at the deposition. Pursuant to Section 2025 (d)(6) of the
15 California Code of Civil Procedure, defendant COUNTY OF ORANGE CA. is required to
designate and produce at the deposition those of its officers, directors, managing agents,
16 employees or agents who are most qualified to testify on its behalf as to those matters to the
extent of any information known or reasonably available to defendant COUNTY OF ORANGE
17
CA. PLEASE TAKE FURTHER NOTICE that, pursuant to Section 2025(d)
18
(4) of the Code of Civil Procedure, defendant COUNTY OF ORANGEinluding Board of
19 Supervisors direction is directed to produce the documents, material, web sites and tangible
things listed below for inspection and copying at the deposition. For purposes of this request, the
20
term "writing" shall have the meaning as defined by Evidence Code Section 250, but shall also
21 include any type of tangible item of things in addition to documents.

22 DEPOSITION CRITERIA
23
That and
24
REQUESTS FOR PRODUCTION OF DOCUMENTS
25

26 1. The complete contents of defendant's personnel file.


27 2. The complete contents of any other files maintained in defendants name by any of the accused.
28
3. All applications for employment signed by defendants'.
4. All instruments signed by defendants relating to the obtaining or holding of employment,
1
within the County of Orange's answers and escrow as allowed by meaning of California Labor
2 Code §432.

3 5. All personnel files of defendants which have been used to counter plaintiff's assertions and
allegations including arresting officers and those present who did give ear and derelicted their
4
duty's in order to deceive or sabotage our contention action, within the meaning of California
5 Labor Code §1198.5.

6 6. All medical, psychiatric or other health-related reports or writings which describe or evaluate
7
plaintiff's physical or mental condition or any treatment received by defendants in any year
plaintiff were researched, investigated treated or subject to confinement by any defendant.
8
7. All performance appraisals, evaluations, and reviews of defendants by chain of command or
9 inter-agency assistance.
10
8. All writings containing any reference pertaining toward plaintiff's activity's or causes by off
11 duty quack physicians inspiration to poison, drug or kill our existence-s.
12
10. All writings which relate or refer to plaintiff's hiring by the corporate defendant.
13
11. All writings which support any contention by any defendant that good cause existed for
14 plaintiff's to be employed as para psychological resource or otherwise.
15
12. All organizational charts (or the functional equivalent) which show the chain of authority
16 above or below the defendants in the previous positions held by defendants with the corporate
identity's.
17
13. All job descriptions for the positions past held by defendants within the corporate ladders.
18

19 14. All writings concerning the corporate defendant's policies, practices or procedures for
20 which employee discipline or termination was taken.
21
15. All employee handbooks, personnel policy manuals, personnel procedure manuals, lists of
22 employee rules, supervisors' handbooks, writings used in seminars on termination or discipline
given to supervisors and memoranda to supervisors regarding policies or procedures for
23
discipline or termination of employees, but only those digitized, printed, typed or used at any
24 time during plaintiff's employment with the corporate defendant.

25 16. All employee handbooks or other writings or materials provided to employees or prospective
employees setting forth or explaining the corporate defendant's procedures or policies on hiring,
26
promotion, transfer, layoff, termination, severance pay, salary, and employee benefits, but only
27 those distributed during defendants employment within the corporate relationship.

28
17. All media posted and writings by defendants that of web pages, internet affiliations including
1
social media accounts set forward in areas of funny, kinda ugly, reptiles get in the way and most
2 importantly lawfully research to accuse cemetery dunder a double side.

3 18. All writings regarding or referring to any discussions between plaintiff and any defendant
regarding the terms or conditions of plaintiff's incarceration, institutionalization or plans to
4
proceed in such manner.
5
19. All writings describing, summarizing or explaining any pension benefits and employee
6 benefits available to employees and that of defendant's named on and in disclosing
7
http://www.desbic.com manuscript.

8 20. All county-city issued government issued or personal weapons; statements by where a
casualty resulted.
9

10 21. Closed chambers declarations by all defendants of their said affiliation to they of
our said subject that of Extra-terrestrial contact(s).
11

12 22. Closed chambers declarations of encounters with beings including statements of


agreements and common knowledge orientations such as degenerate anal fornicating
13
orientations to indicate a regression policy.
14
23. Statement as to why abuse of said alien technology including those believed to be
15
abusing cemeteries with sodomic and despicable unlawful predicate sin practices may
16 have a role in deciding our future and may be clarified as to respect the Plaintiff's
freedom of callous dis-regard as to make a more fuller contribution for others a
17
contention.
18
Dated: 12/16/2015
19
by _ __
20

21 WILLIAMSON /ARROYO Firms / Litigants.

22 Attorneys for Plaintiff


23

24

25

26

27
County of Orange

28
State of California
1 My Commission Expires on the Following Date: Internal Memo Audio Telekinesis
2
12/16/2015
3

4
ATTORNEYS OF RECORDS
5

6 WILLIAMSON & ARROYO DBA

7
DESBIC ESQUIRE
8

9 VS.
10
THE COUNTY
11

12
OF ORANGE AND HER AGENTS,
13

14 DISTRICT ATTORNEY/DEPUTY
15
DISTRICT ATTORNEY'S/
16

17 PUBLIC DEFENDERS OFFICES/


18

19
POLICE AND SHERIFF UNITS

20
IN /AND-CARE UNITS REGARD
21

22 DEPOSITION AND ITS


23
PRELIMINARY RESEARCH
24

25
BY WHICH TO PROCEED:
26
1. "Have you ever been arrested and/or convicted of a felony or misdemeanor?"
27
2. "What did you do to prepare for this deposition?"
28
3. "Do you have identification with you?" If the answer is yes, you should produce it, so
1
your name and contact information can be entered into the record.
2
4. "Have you discussed this lawsuit with anyone else, signed any statements or
3 affidavits relating to this lawsuit, or posted information about this lawsuit on any Internet
site?"
4

5 5. "Was anyone else present when you discussed this case with your lawyer?"
6 6. "Have you ever met any other witness or party to this case prior to the events giving
7
rise to the lawsuit?"

8 7. "Have you ever been deposed or testified in court before?"


9
8. "Did you meet with the lawyer for the other side before this deposition.
10
9. "How did you find your attorney [or any doctor or other expert witness you've called to
11
testify?"
12

13 10. "Have you read any witness statements or seen any other evidence prior to this
deposition?"
14
11. "Please identify every significant injury and illness you've ever experienced."
15

16 12. "Please provide your complete employment history."

17 13. "What activities can you no longer engage in, which you were able to engage in
18
prior to the respective occurrences'?"

19 14. "Besides the current case, have you ever been involved in a lawsuit?"
20
16. Do you have a history of drug or alcohol abuse?"
21
17. Have you ever used alcohol or both, legal or illegal narcotics including medical
22 marijuana to this entry? Y/N ?
23
If so name the narcotics?
24
18. "Had you used any alcohol or narcotics in the days prior to the arrest of Steven
25 Arroyo at his 16941 Green St. Huntington Beach or Midway City 2011 hiatus
26
19. Have you ever hit or abused your spouse? y/n?
27
"Are you still beating your spouse?"
28
20. Did you support the military campaign in Iraq?
1

2 21 . "Would you like to review the transcript of this conversation, and change any of
your answers before they're entered into the record?"
3
22. Is your sworn oath perfect?
4

5 22. Have you ever lied before?


6 23. Have you ever lied under oath?
7
24. Have you ever thought about killing people?
8
25. Have you ever killed anyone?
9

10 (a) if yes can you elaborate so that the Courts can make a more fuller contribution?

11 26. If so did you suffer any emotional disturbances?


12
(a) if yes can you elaborate: so that the Courts can
13
make a more fuller contribution?
14
27. Have you ever abused or killed an animal?
15

16 28. Have you ever accepted an oath a pass or condition of secrecy?


17 (a) if so, could there be areas of grey that remain to be off limits?
18
29. Do you have a degree?
19
30. Did you lie about the telepathy with Steve and Deity?
20

21 31. Do you think Plaintiff is delusional?

22 32 What is your and thorough definition of delusional?


23
33. Do you think Plaintiff in this cause is mentally disturbed or challenged?
24
34. Plaintiff seems to think he and his Entity higher power intercepted daily efforts to
25 incapacitate us this past year; do you agree?
26
31. Are you concealing any understanding of the plaintiff's Entity called "cartoon
27 phenomena" on map topography Africa?
28 33. Are you an extra-terrestrial being or beings in disguise?
34. If found guilty, will you walk a straighter line?
1

2 35. Do you have a relationship with God?

3 36. Does your God's allow homosexual intercourse?


4
37. Did you hear the reported dunder of degenerate Aliens?
5
38. Did you or are you opposing all plaintiff shared?
6

7
39. Plaintiff said he should be mad at defendant and not the other way around,

8 is this accurate? Y/N?


9
40. Do you ever confess to your higher power?
10
41 Plaintiff claims all the masses are lying about the authenticity of global telepathy with
11 Entity on map? Is there a telepathic Entity-like presence to you?
12
42. Is the idea of emphasizing disappearance concepts such as magic agents to the
13 military's tools a good idea? Y/N?

14 43. Have you ever believed a magic trick was really magic at one time or another?
15
Y/N?
16
44. Did you hear plaintiff stated the degenerate aliens make worse than Hell
17

18
consequences for all they can and are being treated? Do you have an opinion?

19 Y/N?
20
45. Is it fair to say from a blood contamination issue it more advantageous to avoid fecal
21 enzymes? Y/N?

22 46. Do you know what a mutation is? Y/N


23
47. It has been told mutation occurs when rectal insemination occurred; further more it
24 was told to us individuals engaging in these refuted acts do not see eye to eye for a
fight and instability with more and varied frequency. Do you concur?
25
48. If you do or do not understand what radio isotopes, or mutations do to our
26
bloodstream when bio-molecular endocrinology is opted, should you feel qualified to
27 voice an opinion allow the mass to vote on same sex issues?

28 47. Does fear strike or affect you when a subject such as mutations arises?
46 If I were on a collision course with other area objectives because a Plaintiff stated
1
he's a very obvious position against that of cross-insemination of orientation for reasons
2 I described are bound to not see eye to eye for friction, would you say that I was crazy?

3 47. Did you visit any of the Plaintiff's web pages?


4
48. Did you ever talk arrest or institutionalize the Plaintiff?
5
49. If clinician was found culpable the Plaintiff said he'd do blood work
6

7
with her in an effort to be a better go between to this emphasis. Is such

8 a proposition a good idea if some of the particulars were found to be somewhat


accurate?
9

10 50. Plaintiff said womankind are really degenerate male in another dimension, does this
get you upset?
11
51 A Plaintiffs also elaborated that females are police aliens, do you you know anything
12
about it?
13
52. Did you ever falsify a report?
14
53. Plaintiffs alleged you cover up and try to catch he and his explained Entity behind
15
his back? Is that a fair assessment of your id?
16
54. Plaintiff stated student body are alien cheats and do more harm than good. Do you
17 have an opinion?
18
55. What do you think about the litigant's claim of 20 years global telepathy with all
19 pertinent desires- is this good or bad news?
20
56. Do you think Plaintiff has a point if telepathic cover up becomes obvious?
21
57. Do you think the Plaintiff should win an oscar?
22
58. Would you explain his "Michael Angelo" finger movements and signs as mental
23
retardation or a sign from a higher power?
24
59. Have you ever gotten so drunk you acted out sinful or unmoral behaviors?
25
60.. Have you ever had contact with space traveler beings who were neither mankind or
26

27 competent?

28 (a) if so would you clarify?


(b ) if not?
1

2 61. Are you uncomfortable with talk of higher powers or God's of maybe say aliens, or
"the situated to side factual transcripts of our discourses?
3
62. Did you ever steal a cookie?
4

5 63. It was rumored all masses are degenerate aliens in disguise doing cemetery dunder
to Human-like Creations they coincidentally are said to have Created. Do you have any
6 knowledge pertaining to this statements validity?
7
64. It was rumored the degenerate cemetery foolers go through great lengths to inherit
8 and waste one Human embryo and use Soul as excuse to kill and afflict instead of
create a being that can live and grow. Do you have any knowledge pertaining to this
9
statements validity?
10
64. It was stated or rumored the degenerate aliens in this phase advancement question
11 are that of wild animal reptilians, fire and nuclear composite that form millions of
dimensions of one embryo to fool for. Have you any information to share or any
12
knowledge of candid spite pertaining to these last three questions and statements?
13
65. Are you another being or awareness to which we set aside?
14
66. Do you believe those adages that of our constitutional description of all men being
15
created equal?
16
67. Do these interrogatory pleadings get you uncomfortable or upset?
17

18
68. Have you any information to hide pertaining to the subjects we are discussing?

19 67. Can you elaborate or explain briefly?


20 68. ---Amended-added-115---
21
69. Are you or have you ever behaved in a degenertive manner?
22
70. Do you have a homosexual desire or answer?
23

24 71. Do you lead the U S A?

25 72. Do you think it perfectly good to support the recently discovered fact that Michelle
Obama is really a very homosexual transvestite?
26

27 73. Do you believe a transvestite first lady is something to be proud of?

28
74. Did we research or obtain any information pertaining toward Michele Obama being a
1
man?
2
75. Do you think in view of our reported findings that rectal insemination an everyday
3 occurrence with a transvestite is good for all ?
4
76. You did understand we reported reptilian and other wild animal saucer individuals
5 do molest and rape the human like inhabitants of other dimensions?
6 77. Could the above question be illegal in the United States?
7
78. Do we think assault and rape should be legal?
8
79. Have you ever assaulted or raped any being or individual(s)?
9

10 80. Can you elaborate?

11 81. Have you ever done a sexual- intercourse with a child 13 years or younger?
12
82. Is this deceptive swindle to pretend to be a first lady when all the while Michele is a
13 man?

14 83. Do you feel it not necessary to investigate for yourself the stories and reports that of
the first lady Obama is a gay man?
15

16 84. Do you want to get angry or upset at peoples belief’s that of Michele Obama is a
very perverted rectal pleaser doer?
17

18
85. Do you feel homosexual transvestite orientation and conduct within the Oval offices

19 86. A cause to fight or defend for or against?


20
87. Did you either here or have any knowledge of a good Lord’s expressed distrust of
21 they who support gay transvestite orientation in the oval offices between the Obama’s?

22 88. We explained rectal insemination is coincidentally a mutation. Do you lie to our


Lord’s faces and side fight or lie pertaining toward Plaintiff’s contentions?
23

24 89. If a God-like Entity has telepathy with all economies and warns us of degenerate
reptilian and other alien cemetery rapists torturers do you think you should condone that
25 type of orientation?
26
90. You’ve been found guilty of perjury pertaining to your knowledge of occurrence in
27 question; do you feel as if it good to get revenge at the prosecution team?

28
92. Did you have something to conceal or hide appertaining toward the Godly-like
1
intervention agenda?
2
93. Are you a reptilian space traveler in areas of inter-dimensional I’m not aware of?
3
94. Is money important to you?
4

5 95. Do you think reptilians are also the manifestation of dogs, cats, sharks, rats,
roaches sickness’s of all descriptions,
6

7
96. As we know you heard us describe. Could this information be important?

8 97. Do you think God’s are better than degenerate reptilians to have a relationship with?
9
98. Did you see or notice any statements or plans to arrest, detain, capture, inseminate,
10 sodomize or kill the Claimant(s)?

11 99. If yes, did you notice what’s being described as an intercept and block procedures
by the said Entity?
12

13 100. If you wanted to kill or rape me and got caught red handed, do you think you owe
some prison time or an angry mob to summon?
14
101. Have you ever heard the name Antzee Dancee?
15

16 102. Is God a lie?

17 103. Is it ok for the Plaintiff to consider his relationship with higher power a likeness of a
18
Prophet-?

19 104.Should secret service act to discredit a Godly intervention?


20
105.Should secret service cooperate and advise their public figure it be better to
21 consider doing decisions conducive to appropriate if a God’s catches public figure red
handed doing icbm launch tries to kill a Prophet a clear indication of fireproof alien,
22 Should fatigues support the behaviors conducive to situate it don’t matter?
23
106. Are you suicidal?
24
107. Do you think these are relevant questions in the interest of security?
25

26
108. Do you think being a musician a good idea?

27 109. Have you heard any information pertaining to women-kind are really degenerate
28
mice or men perverts in another dimension?
1
110. If an alien race supplied a dimension with that of-s7 billion people along with
social and material development for just one human being to fool him and rape his
2 after-life’s a contention, would you kind of think such is a waste of enormous energy?
3
111. Do you think colored people tend to support a dishonest transvestite orientation
4 in oval office a manipulation by a satanic like reptile to eventually side straight people
5
are no good?

6 112. Are you afraid or do you fear any individual(s)?


7
113. Are you afraid or do you fear anything in life?
8
114. If you found out your wife or husband was an extra-terrestrial sodomic rapist or
9
reptilians in disguise doing soul regression planning to you would you still have
10 carnal relations with that individual?
11
115. Did you address any of these questions with your recollection to they who own
12 or brandish guns should decide ir-relevant?
13
Updated January 7th 2016
14
PAGES UNDER CONSTRUCTION 16 DECEMBER 2015
15

16 DOCUMENTS TEXT
17 1. In direct violation of U S laws a magistrate and-s the accused did see our character
18 witness and with an intention of inflicting rape, assault and seditious acts of treason,
tried prohibited predicate and unlawful counter measures. This and these Gif
19 photography exhibits of Subpoena-sequester-like photography' with ability to exact
20 the accused contentions toward higher Courts accord noted in exhibitions here under
situated.
21

22 2. The subjects of cemetery dunder by police and masses who are reptile-like aliens
and nothing to do with the laws at Court and nothing to do suchly with Catholic
23 teachings of Jesus will continue to be the subject until the abuses of alien technologies
24 cease and desist and a heavenly inviting placard destination that of growth, care and
fellowship is clarified.
25

26 3. If in its own regarded, a College success rate decided atomic conspiracy's readiness
to dis-lodge our tenants residence the subject of same double sides to live their lives
27
as U S counterparts, the fallacy's of disingenuous detention bring may be researched?
28
1
4. The "cartographic topography" and global intrinsic telepathy with all citizens, this
means deaf, dumb, blind, afflicted and Sheriff detention bring candor who neither
2 describe this material fact and resort to altercating us with mental health deceivers
3
because of their double side to live their lives as degenerate and daily rapist murderers
in interplanetary and / or cemetery wheels as we speak. These outlaws in disguise do
4 hell a side to human anatomy routinely in inter-dimensional placard destinations they
5 procreate from dunder to call a sepulcher a way in the place of life everlasting defined
as non-degenerate virus' and pro-life interests?
6

7 5. If as suchly the word of wafer adages a contention to build there upon, oppose
neither a sequester nor an photographic display when consented to be bound when say
8 "I do's" in areas of fuss. The subjects of cemetery dunder is not to be taken to lightly
9 in view of the pessimistic side of police guns at courts record..
10 6. In an effort to be of service and-s moreover in regarded as factual, that of "acute
11 hearing perception-s", otherwise explained in public defender's offices as: "telepathic-
like communion-s" between relay assuagements and trusted opposition, these are the
12
grounds for tentative dismissal of phony detention bring depictions and cause for
13 celebration; did we seat so wardly?
14 7. If seditious acts of treason is a crime for wills to decide police and sheriff units in
15 care coordinators regard may very well be in league with worse than the Devil-like
double life as regression aliens in connection with a resource that we see and suchly
16
the subject of lawfully construe will decide anyway-s?
17
8. In so sided district attorney is a false front for Lucipher-like cemetery dunder
18
seekers calling themselves Judges, cops, fictitious masses and-s lawyers present to
19 these aims we see. On one hand these individuals pretend to be upstanding citizens, a
but we seated and vindicated our firm and uncontested conviction-s as noted. The
20
subject of cemetery dunder within the rank and file who so assault with sodomic
21 regression are in fact present at questioning.
22
9. Due to the factual adages that of their double side to live their lives as the said
23 evilest degenerate and regression aliens in cemetery-inter-planetary and inter-
dimensional physical existence, and are no such thing as women-kind a but are pervert
24
man in their destination in cemetery and other dimensions I see, the subjects of
25 destination placard and life ever-lasting will continue to be an integral part of the
obligations we live and seek-s.
26

27 10. In so describing: these are the said character flaws of fictitious people and if our
Holy and board certifiable acquittals and reprieves is not enough to remove the doubts
28
and the threats and doubts persist, our involvement may concert a tentative need to,
1
use condescending rhetoric if we see straight to do obligations assumed for the sake of
a ethical re pore and a destination placard feasible. (if applicable).
2

3
Petitioner prays for peace to be spoken.

4 Hear us/me Oh Lord that I/we be made an instrument of your Divine will, that we be
5
protected and kept as your person(s) of worthy aims, that we veer neither to the ages
of security details in considerate remarks, that we stand up and for your righteous and
6 contrite presence if it be construed to suchly decide speedily in our times? If as such
7
to situate? With these actions may peace be with thee. Amen.

8
sthtof Omnipotent The Law School underlying called aiding any abetment
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in Crimes understood to be as an unheard of from any Sevens being duly
10
sworn, do hereby swear on my oath and under the penalty of perjury that I
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have read and understood the foregoing deposition. I further swear that I
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am knowledgeable of the deposition’s contents and that all of the
13
information contained therein is factual, correct and true to the best of my
14
knowledge and belief.
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Steven Van Schofer and William Wi
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Signature
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Executed before me this day, the day of , 20 .
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Public Notary Signature
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County of:
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State of:
1

2 My Commission Expires on the Following Date:


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