US AG Pam Bondi Stew Webb U.S. Federal Whistle blower Grand Jury Demands
US AG Pam Bondi Stew Webb U.S. Federal Whistle blower Grand Jury Demands
http://www.stewwebb.com/2015/01/05/stew-webb-grand-jury-demand-kerre-millman-attempted-murder/
Federal-Grand-Jury-Demand-04-11-25
US Attorney General Pamela Bondi,
U.S. Department of Justice
950 Pennsylvania Avenue, NW
Washington, DC 20530-0001
202-514-2000
You and I spoke by phone when your were the AG of Florida regarding 007 Gene Chip Tatum and the crimes of Jeb Bush.
The weaponization of law enforcement on Americans
run by Division number 5 FBI Building 5th Floor needs to all be arrested.
I further would request a Federal Grand Jury that was Granted to me in 1995 by US Federal Judge Richard Matsch
I was anthrax so was my main witness Iran Contra Whistleblower Lt Commander ONI Al Martin after Denver US Attorney Henry Solano was order by US Denver Judge Richard Matsch to hear me out. In 2010 I tried filing a 3 time for my Grand Jury and was nearly murder in 3 car crashes in one year.
Reference the links below.
I can show you were 100 trillion dollars of illegal drug money laundering and 500,000 HUD apartments are that were stolen from the US Government are
I would like to see you and others end the national debt with the evidence and others can provide. Witness former Colorado County Attorney who is in hiding in Panama
after Attempted murder of her and her now Dead Husband. She can prove and knows what I know and more about those named and unnamed in my Gran Jury Demands,
Illegally disbar Kansas Attorney who filed suit for his client over Jeb Bush illegal activity that lead to 2 Fort Worth Texas US Attorneys were murder over their case.
I am asking for a US Grand jury Traci Gabbard I talk to once with Tom Heneghan when she was in Congress.
First please let Charlene Renee Treakle have Justice from you and The US Justice Department.
Sincerely and thank you keep up the Great work you are doing for America.
Stew Webb
federalwhistleblower@gmail.com
Phone: 913-944-5189
PO Box 13538
Overland Park, KS 66282
Federal Grand Jury Demand
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF Washington, D.C.
CRIMINAL DIVISION CASE Number: 95-Y-107 Filed Feb. 27, 1995
U.S. District Judge Richard Matsch
United States District Court Denver, Colorado
filed Feb 1995
Pro Se Plaintiff, Stewart A. Webb
Stewart A. Webb,
And in behalf of Amanda Melia Webb (Dr. Amanda Millman Januz)
Plaintiff’s Daughter,
And in behalf of
The People Of The United States of America
And the United States Government.
P.O.Box 13538
Overland Park, Ks 66282
federalwhistleblower@gmail.com
www.stewwebb.com
913-944-5189
Plaintiffs,
Vs.
Kerre Sue Millman (aka Kerre Webb) attempted murderer of her-infant daughter re: mental disturbance warrant-case number
84-2107-MI State of Texas vs. Kerre Sue Webb (Millman)for attempted murder upon her infant daughter Amanda Melia Webb age-28 days old, Aug 10, 1984, co-conspirator-recipient of illegal monies from Leonard Millman/Narcotics Money Launderer Bush Crime Family
Leonard Yale Millman (Co-Conspirator Bush Crime Family Money Launder/Kingpin/Scamster/Terrorist “The Denver Connection”)
Organized Crime Figure, Conspired to murder, Plaintiff Stewart Webb, Owner & controller MDC Holdings, Inc. Obstruction of Justice, Securities Frauds, Loan Frauds, Loan reinsurance frauds, Real Estate Loan Frauds, conspired to cause economic plunder,(Death Penalty). Conspired, manufactured Illegal Biological Chemical agents and sold to foreign enemies of The United States of America, aka Iraqgate- BNL Bank, Gulf War Syndrome. Violations of The Barkley Cole Indenture Act, Treason.
Leonard Millman Laundered Narcotics Money $12 Trillion in 9 years through Silverado Saving and Loan Iran Contra which Silverado’s parent company Leonard Millman owns MDC Holding, Inc., with Larry Mizel. This Narcotics Money was tied to Col. Oliver North, Bill and Hillary Clinton Mena, Arkansas operation and Chinese Intelligence owning Worthington Bank Little Rock, Arkansas which was illegal. Chinese Intelligence Patrick Fong imported China Heroin to Clintons. Chinese Intelligence Patrick Phong further sold Chinese Trusts to Hillary Clinton The Rose Law Firm which were then passed up to Leonard Millman’s attorney Norman Brownstein of Denver, Brownstein in 1985 was one of the 6 top CIA Council to CIA Director George HW Bush which Former AG Bill Barr worked directly for Norman Brownstein at the CIA. Brownstein was a Director of Silverado as was Larry Mizel. (I Stew Webb exposed Silverado with Congressional Hearing.)
Leonard Millman funded Pete Peterson BlackStone 1984-1985 with Illegal Narcotic Money Laundered threw Silverado in to buying up Real Estate, shopping malls building commercial properties which is illegal and all of BlackStone assets under Federal Law can be seized. Further BlackStone created a Financial Subsidiary Company called BlackRock with Larry Flint. BlackRock is the Largest US Bank controlling Trillions in assets and controls State Street and Vanguard.
Leonard Millman took over Meyer Lansky’s fortune upon Lansky’s death. Trillions in illegal narcotics money Power Bank of Canada aka Power Financial, Millman formed a subsidiary company in Denver Great West Life Insurance Company which owns HSBC Bank Corp the largest Bank in the World. Every 6 months to 2 years HSBC Bank one of its subsidiary bank in many countries is charge with Narcotics Money Laundering. Leonard Millman known as one of the 12 Disciples of Satan, the 12 riches men in the world
upon Millman’s death in 2004 Leonard Millman was estimated to be in Control of One Hundred Trillion Dollars, Millman set up Millman family trust registered with Denver Courts to make the Fifty Billion Dollars of Narcotics Money would look legitimate. Leonard Millman passed the One hundred Trillion Dollar stolen from America and the American People to Larry A. Mizel of Denver. The United States of America can Solve the National Debt and Confiscate AIMCO 500,000 apartments stolen from America threw HUD Fraud.
Elaine Ruth Millman
(Co-Conspirator, wife, and partner to Organized Crime Figure Leonard Millman, Securities Frauds, Loan Frauds, Loan reinsurance frauds, Real Estate Loan Frauds, Obstruction of Justice.)
George W. Bush (Co-Conspirator of Murders, Appointed President of The United States of America, (not legally elected) Acting as Commander and Chief of the Armed Forces of The United States of America, Obstruction of Justice, Mass Murderers, Involvement in Aid & Abet, Enabled & Co-conspired to allow massive Financial Fraud, and misconduct with prior knowledge to allow injury to such investors at who had no knowledge of the events to transpire. Obstruction of Justice. Aid & Abet, Enable to cause the deaths of Federal Agents/Civilians/Military—-Murder.. including the murder of President John F. Kennedy in 1963.
George Herbert Walker Bush (Co-Conspirator Ex CIA Director/Former US President, Co-conspirator to Terrorist event know as 9-11 Sept. 11, 2001, Co-conspirator to Terrorist Bombing of The Oklahoma City Federal Building April 19, 1995, Obstruction of Justice.) Conspired, manufactured Illegal Biological Chemical agents and sold to foreign enemies of The United States of America, aka Iraqgate- BNL Bank -Gulf War Syndrome. Violations of The Barkley Cole Indenture Act, Treason.
Neil Bush (Co-Conspirator Former Director Silverado Savings & Loan owned by MDC Holding, Inc aka Leonard Millman and Larry Mizel), Narcotics money laundering at Silverdo Savings and narcotic trafficking with Peter Coors, Leonard Millman, Larry Mizel. Securities Frauds, Obstruction of Justice)
Jeb Bush
(Co-Conspirator Governor Florida, Narcotics trafficking, Obstruction of Justice)
Marvin Bush
(Co-conspirator 9-11, Sept. 11, 2001 Houston Causality Insurance Company)
James Baker
(Co-conspirator to terrorist event know as 9-11 Sept. 11, 2001. Houston Causality Insurance Company)
Carl Lindner
(Co-Conspirator
Bush Crime Family
Money Launderer/Kingpin/Scamster
“The Ohio Connection”)
Gale Norton
(Co-Conspirator US Secretary Of Interior/ Former Attorney General Colorado, Obstruction of Justice )
Phillip D. Winn
(Co Conspirator Convicted HUD Figure/Former Swiss Ambassador/ Illegal Pres. Pardon, MDC Director, Obstruction of Justice)
Larry A. Mizel
(Co Conspirator CEO MDC Holdings, Inc. Parent Co. of Silverado/Imperial Savings, Securities Fraud, Narcotics Money Laundering, Narcotics trafficking, Pension Funds Frauds)
Norman Phillip Brownstein
(Co-Conspirator Council to CIA Director George Bush Current Bush Crime Family Attorney, Former MDC Director, Obstruction of Justice.)
Oliver North
(Co-Conspirator Narcotics Trafficker, Iran/Contra Player, murderer.)
Hillary Clinton
(Co-Conspirator CIA Counsel US Senator NY., Narcotics Money Laundering to M&L Business Machines Company Denver Colorado, Obstruction of Justice, Blackmail of US Congressman & Senators.)
William Jefferson Clinton
(Co-Conspirator CIA Agent/Former US President, Narcotics trafficking into The United States of America, Iran/Contra, Obstruction of Justice)
Charles Keating
(Co-Conspirator CEO Lincoln Savings/CIA Operative, Money Laundering to MDC Holdings and BCCI)
Federico Pena
(Co-Conspirator Former Mayor Denver, Co., Former Secretary Transportation/ Resigned Sec Energy while under indictment, recipient of Bribes to Obstruct Justice)
Wellington Webb
(Co-Conspirator Bond Fraud Denver International Airport Mayor Denver, Colorado)
Meyer Blinder
(Co- Conspirator CEO Blinder/Robinson/National Brokerage Group of Companies, an MDC Subsidiary company)
Linda Thomas
(Co-Conspirator Divorce Judge Dallas, TX. Obstruction of Justice, recipient of Bribes to Obstruct Justice.)
Brian Campbell
(Co-conspirator Divorce Judge Denver Colorado, Ongoing Obstruction of Justice, Permanent Restraint order against Stewart Webb & Amanda Webb-Amanda Millman now of legal age.)
Zita L. Weinshenk
(Co-Conspirator US Federal Judge Denver, Obstruction of Justice, Recipient of Bribes to Obstruct Justice)
Edward Nottingham
(Co-Conspirator US Federal Judge Denver, Obstruction of Justice)
Sherman Finesilver
(Co-Conspirator Retired US Federal Judge Denver, Obstruction of Justice, Recipient of Bribes to Obstruct Justice)
Henry Solano
(Co-Conspirator Former US Attorney, Denver, Obstruction of Justice Co-conspirator attempted murder.)
Michael J. Norton
(Co-Conspirator Former US Attorney, Denver, Obstruction of Justice, recipient of bribes to Obstruct Justice)
Greg C. Graff
(Co-Conspirator Assistant US Attorney, Denver, Obstruction of Justice, Brother Robert Graff MDC Director.)
Thomas O’Rourke
(Co-Conspirator Assistant US Attorney, Denver, Obstruction of Justice)
F. Joseph Mackey
(Co-Conspirator Assistant US Attorney, Denver, Obstruction of Justice)
Charles Szekely
(Co-Conspirator Assistant US Public Defender, Denver, Obstruction of Justice)
Charles Sandage
(Co-Conspirator, Obstruction of Justice)
Lee Redneick
(Co-Conspirator Inspector General US Department of Justice Public Integrity Section Washington. DC., Obstruction of Justice) (Note:
www.almartinraw.com
David Mann
(Assistant Inspector General US Department of Justice Washington DC., Obstruction of Justice, recipient of Bribes to Obstruct Justice)
Robert Pence
(Co-Conspirator Former FBI/sac Denver, Obstruction of Justice, Recipient of Bribes to Obstruct Justice)
James M. Lyons
(Co-Conspirator Director MDC, Key Player Whitewater Development Frauds.)
Allan Karsh
(Co-Conspirator Denver Kingpin Leonard Millman’s Brother-in-law)
Larry Flint Blackrock
(Co-Conspirator to economic plunder, his firm was created from Silverado Saving Narcotics Money laundering fro Iran Contra Neil Bush Director.)
Pete Peterson BlackStone
(Co-Conspirator to economic plunder, his firm was created from Silverado Saving Narcotics Money laundering fro Iran Contra Neil Bush Director.)
Ted L. Gunderson
(Ex FBI/CIA, Murderer, Scamster, Supplied Bin Laudin with Stinger Missiles Stole From US Military Arsenal-China Lake/FBI/CIA/Iran Contra Player, Perjury, Obstruction of Justice. Currently Stalking and committing criminal harassment of Plaintiff and Plaintiffs witnesses. Perjured testimony to extort plaintiff. Perjured testimony to Jail plantiff Stewart Webb, Charges later dismissed with prejudice, Scamster, Fraudster, ongoing criminal activity,Stalking of Plaintiff & plaintiffs witnesses )
Additional Yet Unnamed Defendants 1-5000 and Co-Conspirators Defendants
PETITIONER’S MOTION TO REOPEN TO THE HONORABLE JUDGE OF THE SAID COURT:
NOW COMES
, Plaintiff, Stewart Webb, pro se, and files this Motion to Reopen and in support therefore, would respectfully show the court the following:
I. Motion to reopen, provides that when it clearly appears to be necessary to the due administration of justice, the court may permit additional evidence to be offered at any time; provided that in a jury case no evidence on a controversial matter shall be received after the verdict of the jury.
II.
In order for justice to be served in this case, Plaintiffs, should be allowed to reopen and submit additional evidence, decisive to this matter, to the trier of fact for the following reasons: See: this entire filing,
That a attempted murder of Plaintiff Stewart A. Webb occurred in Sept.
1995 shortly after the Plaintiff and witness Lt. Commander Al Martin
Retired Office of Naval Intelligence, gave testimony by telephone to
the Denver U.S. Attorney Henry Solano. The plaintiff took ill for more than 4 years due to a biological chemical attack, and false arrest
and that the Plaintiff Stewart A. Webb’s witness, Al Martin was falsely arrested and held for 42days under a fictions name. We booth felt at the time to stay alive we had to back off the pushing for a Federal Grand Jury.
III.
PETITIONER seeks to offer the following additional evidence and evidence never presented, due to attempted murder of Plaintiff, and jailment of witness, Al Martin of Iran Contra Key Witness. See:
www.almartinraw.com
The Conspirators.com by al martin iran contra whistle bower 1986.
amanzone.com
IV.
PETITIONER was diligent in obtaining the above referenced evidence. V.
Presentation of this additional evidence will not cause undue delay in this case. Furthermore, presentation will not cause an injustice in this case. WHEREFORE, PREMISES CONSIDERED Plaintiffs, prays the court grants the Motion to Reopen and allows PETITIONER to present original and
additional evidence and to further grant any other such relief available in law or in equity.
Respectfully submitted
By: Stewart A. Webb Pro se Petitioner & Plaintiffs,
federalwhistleblower@gmail.com
www.stewwebb.com
P.O.Box 13538
Overland Park, KS 66282
NOTICE OF HEARING
The above and foregoing Petitioner’s Motion to Reopen is set for hearing on at , in the US District Court, on
_________________________________________________________…
MOTION TO REOPEN ORIGINAL FEDERAL GRAND JURY REQUEST DATED FEBRUARY 2, 1995, CRIMINAL CASE NUMBER 95-Y-107 ASSIGNED TO U.S. FEDERAL JUDGE RICHARD P. MATSCH.
This Filing Serves as an Affidavit from Plaintiff, reason to Grant Motion to reopen and to proceed with this Motion To Appear Before A Federal Grand Jury. Addition information is enclosed in this filing of High Crimes involving Murder, Treason, Violations of the Barkley Cole Indenture Act. Criminal Stalking and Harassment, death threats of Whistleblowers, informants, including
Plaintiff by some of the stated defendants in this filing.
Plaintiff has learned through US Intelligence sources that an ongoing plot by George W. Bush to Murder Whistleblowers, Former Intelligence Officers/Federal Agents, Informants and any one who holds evidence of His or His Fathers George H. W. Bush’s past and current illegal misdeeds against The United States of America, which includes Plaintiff Stewart A. Webb.
George H. W. Bush, George W. Bush are further plotting to cause terrorist acts inside The United States of America to further their facade, to further their World wide dominance and Illegal aggression against other Countries for Oil, and control of those countries natural resources.
Further evidence indicates Treason against America,
Therefore this is reason for and to convey an immediate Grand Jury to hear these allegations, and the testimony of key witnesses.
MOTION FOR HEARING TO PRESENT EVIDENCE BEFORE THE UNITED STATES FEDERAL GRAND JURY COMES NOW, the Plaintiff, Stewart A. Webb, pro se,
and moves the District Court to enter orders directing the Federal Grand Jurors to hear allegations and testimony of the Plaintiff and others, (in secret) concerning the above named and Yet unnamed Defendants and their participation in a Continuous Criminal Enterprises, Racketeering Influence Corruption Organization (RICO), Obstruction of Justice, (under color and cover of law) Narcotics trafficking into the United States of America, Racketeering and Conspiracy to defraud the People of the United States of America.
(
The West Virginia Supreme Court of Appeals holds that a prosecutor may not prevent a citizen from presenting a complaint to the Grand Jury.
“To fulfill its function of protecting individual citizens and providing them with a forum for bringing complaints within the criminal justice system, the Grand Jury must be open to the public for the independent presentation of evidence before it. If the Grand Jury is available only to the prosecuting attorney and all complaints must pass through him, the Grand Jury can justifiably be described as a prosecutorial tool…We therefore hold that, by application to the Circuit Judge, whose duty it is to insure access to the Grand Jury, any person may to the Grand Jury to present a complaint to it.”
Furthermore, the Court continues, a prosecutor may not render unsworn testimony in an attempt to dissuade the Grand Jury from hearing the Citizen’s evidence. Finally, a writ of prohibition will lie to prevent a prosecutor from attempting to discourage the Grand Jury from hearing the complaint.
(Miller v. Smith; W Va Sup Ct App, 12/18/81).
If a U.S./District Attorney fails/refuses to sign and execute a valid Grand Jury Indictment, the Grand Jury can hold that U.S./District Attorney in Contempt and order the Sheriff or Marshals to arrest and hold him in jail until he either signs and executes the Indictment or else resigns his job as U.S./District Attorney (Public Servant). This is the absolute power of the Grand Jury, and the Sheriff/Marshal, as executor of the Grand Jury’s will.
NATURE OF CASE AND BACKGROUND FACT
Plaintiff, along with others (numerous witnesses) unnamed at this time, have documentation and evidence from “first person” observation that will show above named Defendants and unnamed Defendants and others have engaged in Continuous Criminal activity for an unspecified period of time and have defrauded the united State of People and the Government of the united State and of several States by actions which are codified in the United States Code as criminal in nature and that have duly been passed by the Congress as Criminal Activity.
Plaintiff requests that a US Federal Citizens Grand Jury be convened at the earliest practical time so that this testimony and presentation of evidence may be offered.
Plaintiff, having been related through marriage to Leonard Yale Millman and Elaine Ruth Millman, has observed specific criminal activity with respect to the business operations and affiliations of Leonard Yale Millman (an organized crime figure) and his direct and indirect participation with other Co-Conspirators and Co-Defendants named and unnamed in the captioned case and demands the opportunity to testify to a Federal Grand Jury relating to these Crimes.
Plaintiff is well apprised of making false statements to a government agency under 18 USC 35, 1001, 2071 and others and demands to bring forth evidence under oath or affirmation as to the substance of these allegations.
Plaintiff wishes to notice the Court and that it would be a MISPRISION OF FELONY under 18 USC 4 to fail to disclose felonious acts that have been witnessed by or that have come to the attention of the Plaintiff. Plaintiff and others are also aware that Treason and Sedition against the United States of America and its People have been committed by the above named and unnamed defendants and Co-Conspirators.
JURISDICTION AND VENUE
Plaintiff wishes to bring forth evidence to the Federal Grand Jury concerning crimes, which have been committed against the United States of America and its People. Plaintiff will show through evidence and testimony that various felonious acts including Perjury to arrest Plaintiff, Theft through Government Contract Fraud, HUD Fraud, FDIC Fraud, Attempted Murder of Plaintiff, Attempted Murder of Plaintiffs Daughter, Murder, Intimidation, False Imprisonment to Silence A Federal Whistleblower/Informant, Perjury,
Malious Prosecution of Plaintiff, High Treason, Obstruction of Justice, Bribes paid to obstruct justice, Narcotics Trafficking, Money Laundering, Real Estate Loan Fraud, Securities Fraud, Oil and Gas Fraud, Savings and Loan Fraud,
Blackmail of US Congressman and Senators and other public officials, extortion, Attempted murder, murder and the cover up there of, intimidation of witness, false arrests and imprisonment of plaintiff and witness, have been committed by Defendants, both named and unnamed
Under the Federal Criminal Statues embodied in Several Titles of United States Code Both Civil and Criminal as follows:
In Violations of the following named and unnamed Laws and US Codes:
Please Note: Venue Quo Warranto Government Official refuses to do their jobs.
I am note educated in law and am pro se litigant there are numerous other violations that can be presented upon testimony).
Numerous Violations of Due Process of Law.
Plaintiffs federal claim arises pursuant to the Federal Whistleblowers Act/Judicial act 31 USC 3729 through 3732.
And the following:
Quo Warranto
(Public Servants refuse to do their job)
Money Laundering Control Act
Uniform Child Custody Jurisdictional Act
28 USC 1391 Bank Secrecy Act
Titles:18 USC 1503 Intimidate a Witness, 18 USC 1510 Obstructing a Criminal Investigation, 18 USC 1512 Tampering with a witness, Victim or Informant,
18 USC 1512 Engaging in Misleading Conduct
18 USC 1512 (a) (l) (c) Criminalizing the Act of Preventing Communications to Authorities when the Communications relate to the possible commission of Federal Offenses
18 USC 1513 Retaliation against a witness, victim or an informant
18 USC 4 Federal Reporting Crime Act (whoever having knowledge of the actual commission of a felony cognizable by a court of the united States, conceals and does not, as soon as possible, make known the same to some judge or other person in civil or military authority under the united States shall be fined not more than $500.00 or imprisoned not more than three years or both).
28 USC 1331 Violations of the Barkley Cole Indenture Act.
28 USC 1343
28 USC 1443
42 USC 1983, 1985, 1986, 1987 Civil Rights and Whistleblower case laws.
18 USC 1001 Perjury and false complaints
18 USC 371 Defraud the United States
18 USC 1002, 1003, 1005, 1006, 1007, 1008, 1010, 1011, 1012, 1016.
(6 of 8)
18 USC 1927 Through 18 USC 1967 (RICO) Racketeering, Influence, Corruption, Organization Act
18 USC 1960, 1901, 1905, 1911, 1952, 1956, 1957, 1961, 1962, 1963, 1964 (RICO)
Civil RICO
Continuous Criminal Enterprise Act (CCE)
18 USC 241 Conspiracy
18 USC 242 Conspiracy
31 USC 3729 False Claims Act
22 USC 445 (Treason) Neutrality Act of 1939
22 USC 447 Neutrality Act of 1939
18 USC 1505
18 USC 1514
18 USC 1515
18 USC 1701
18 USC 1702
18 USC 1708
18 USC 1909
18 USC 2071
18 USC 35 Imparting or conveying false information.
18 USC 494, 513, 641, 648, 656, 657, 658, 664.
18 USC 921, 926, (a) 929, 969, 982.
18 USC 1163, 1344, 1345.
18 USC 2381 TREASON
18 USC 2382 Misprision of Treason
18 USC 2383 Rebellion or Insurrection
18 USC 2384 Seditious Conspiracy
18 USC 3130—-3730 Money Laundering
18 USC 1968 Civil Investigative Demand
18 USC 2521
18 USC 1621, 1622, 1623.
18 USC 1113
18 USC 875 (c) Death threats against Plaintiff beginning in 1984. And others.
18 USC 1117 Conspiracy to Murder Plaintiff.
18 USC 1952 (a), 1952 (b), (4) (3) (6)
18 USC 2251, 2252, 2253, 2254.
18 USC 3109
18 USC 2421, 2422, 2423.
18 USC 3057, 3059, 3060, 3071, 3076, 3077.
18 USC 1503
28 USC 1331, 1332,
28 USC 1391
18 USC 1983—-1985
18 USC 2381, 2382, 2383, 2384.
Therefore, premises considered, this action is properly grounded in both jurisdiction and venue under the Federal Rules of Criminal Procedure (F.R.Cr.P.)
WHEREFORE,
premises considered and good cause having been shown that these allegations are in the public’s interest, Plaintiff moves the Court to grant the convening of a Grand Jury at a specified time and place as the Court deemed proper so that Plaintiff and others may bring forth evidence to demonstrate that violations of the Laws of the united States of America have been violated and that
Defendants are currently
Engaged in an Ongoing Continuous Enterprise and the Plaintiff and others lives are in danger of this filing.
MOTION FOR HEARING TO PRESENT EVIDENCE BEFORE THE UNITED STATES FEDERAL GRAND JURY.
Amended complaint and partial relief requested and damages awarded without risking the lives of the Plaintiff’s witness:
The Plaintiff is a pro se litigant , representing not only himself, but also the plaintiff’s daughter Amanda M. Webb (Amanda Millman) The United States of America.
The Plaintiff is trying to protect witness and if the plaintiff sounds veigh in his complaint it is not to deceive the Court but to Protect Those Witnesses who desire and deserve to live and testify in secret before a US Federal Grand Jury, to the enormous fraud perpetuated against the People of The United States and The United States Government. HUD fraud, Saving &Loan and Bank fraud, Bond fraud, Securities fraud, Oil & Gas fraud, Real Estate fraud, and numerous other frauds. And to further stop Narcotics trafficking and the money laundering thereof, within the borders of the United Sates of America, by some named and unnamed Defendants. Both working under color of law and not. THIS IS AN ON GOING CRIMINAL ENTERPRISE, RACKETEERING AND INFLUENCE, CORRUPT ORGANIZATION (RICO), WITH CURRENT GOVERNMENT & EX-GOVERNMENT OFFICIALS INVOLVED, (AN ILLEGAL SHADOW GOVERNMENT WITHIN THE GOVERNMENT. WHAT HAS BECOME KNOWN AS THE BUSH CRIME FAMILY/IRAN CONTRA ALIVE AND ONGOING. Since the Plaintiff invokes additional jurisdiction under the False Claims Act representing the Government of the United States of America, the Plaintiff intends on recovering and seizing enormous amount of assets stolen from the United States Government. Pursuant to False Claims Act the Plaintiffs are invoking jurisdiction, criminal and civil with Stewart A. Webb and minor Daughter Amanda Melia Webb invoking the claim of one third of any and all recoveries made in behalf of the False Claims Act Jurisdiction. And since this Ongoing Continuous Criminal Enterprise and some of the Defendants named and unnamed. Have engaged in intentional harm against the Plaintiff Stewart A. Webb and Amanda M. Webb, some under color of law, as well as personal using governmental officials, some with intent, others blackmailed, or bribed to conspire to Defraud the People Of The United States of America and the United States Government. The Plaintiff will state the basis of the complaint below:
ADDITIONAL JURISDICTION AND VENUE
Further Jurisdiction is invoked pursuant to 28 U.S.C. 1343(a)(3) and 42 U.S.C. 1983-1985.
Further Jurisdiction in invoked pursuant to Plaintiffs Filing September 18, 2001 Pages 1-8,
False Claims Act
CAUSE OF ACTION-NUMEROUS ACTIONS COUNTS 1-1000.
ADDITIONAL COMPLAINT
COMES NOW PLAINTIFF’S,
Stewart A. Webb, Pro se, and in behalf of his minor daughter Amanda Melia Webb, The People of The United States of America, and The United States Government
, and herein upon information and belief complains and alleges as follows:
Plaintiff was married to Defendant Kerre Sue Millman, from September 19 1981 to August 11, 1984. Amanda Melia. Webb born July 14, 1984, was taken illegally from the Plaintiff, after Defendant Kerre S. Millman “tried to kill” her infant daughter. A mental disturbance warrant number 84-2107-MI, State of Texas vs. Kerre Sue Webb (Millman), August 12, 1984, Dallas, Texas. Was issued for her trying to kill (our) infant daughter, Amanda Melia Webb, on August 10, 1984. Divorce proceedings were begun illegally by Kerre S. Webb (Millman) on August 14, 1984, against Plaintiff Stewart A. Webb. This is when the Racketeering Activity under Title 18 USC 1961, 42 USC 1983-1985, 28 USC 1343, and other violations of statues began, including Uniform Child Custody Act Violations. This illegal activity by Defendants Kerre S. Webb (Millman), Leonard Y. Millman, Elaine R. Millman to obstruct justice, to cover up attempted murder, began by the defendants against the Plaintiffs Stewart A. Webb and Amanda M. Webb the Plaintiffs infant daughter.
The Plaintiffs will show that because of satanic abuse upon Defendant Kerre S. Millman as a child by her parents, Defendants Leonard Y. Millman (a now known Knights/Templar Satanist) and Elaine Ruth Millman, that Kerre S. Millman was adversely affected to the extent that a pattern of abnormal behavior she learned as a child began to manifest itself, even before (our) daughter Amanda M. Webb was born, to extreme levels and acts that were an occasional endangerment to the lives and well- being of both Plaintiffs.
Plaintiffs have been deprived of the Natural Yahweh JESUS (GOD) given right to have a Father-Daughter relationship for since 1984, because “Due Process Of Law” was violated, Willful Obstruction Of Justice occurred. Because of intentional, wanton, and willful interference and racketeering against Plaintiff Stewart A. Webb as a direct result of Leonard Millman’s political influence and ties to Justice Department personnel (Bush Crime Family), some of whom have taken sign cant amounts of cash
from Leonard Millman as bribes and payoffs, and are in Government positions for the primary purpose of protecting Leonard Millman and his ilk from prosecution, and additionally, for the furtherance of their Criminal Activity, also involving some Government Officials who are directly involved in covering-up Leonard Millman’s illegal,
“MONEY LAUNDERING ACTIVITY FROM NARCOTICS IMPORTATION INTO THE UNITED STATES OF AMERICA”.
Plaintiff Stewart A. Webb (Stew Webb) will show that since August 1984 a Continuous Activity of Racketeering against the Plaintiffs, Amanda Melia Webb and Stewart A. Webb.
Using Government Personnel and others to silence the Plaintiff, from exposing the Criminal Activity of Defendant Leonard Yale Millman has been conducted (and Continues) so as to deprive Plaintiffs of their Family Rights inherent in the Laws of the Land (Uniform Child Jurisdiction Act), and as protected by the Ninth Amendment to the Constitution for the United States of America.
HISTORY AND BACKGROUND AFFECTING PLAINTIFF’S CASE
Plaintiff went to the FBI office in Kansas City, Missouri (in June 1986) with information that Defendant Leonard Millman was involved in various illegal activities: ever since, Plaintiff has been subjected to a series of false arrests and imprisonment, in a pattern which Plaintiff subsequently learned is a governmental technique developed and used by the Central Intelligence Agency of the United States (Shadow Government-with in Government-Ongoing Criminal Enterprise-RICO-Bush Crime Family. George Herbert Walker Bush’s, Rough, out of control/Organized Crime Syndicate, to discredit Whistle-blowers-Informants or other witnesses who claim to have information that is adverse to the Select Few, The Tiffany-Lamp-Knights-Templars, of Governmental elitists who deemed themselves to be above the Laws of the United States Of America. The Illegal CIA-Shadow-developed discrediting techniques fit into three categories, as learned from insiders or shadow government players, as some call themselves, and experienced by Plaintiff. The Bush Crime Family groupings are:
Package A: Intimidation, Extortion, Destruction of Property, Bribes, Pay-offs.
Package B: False Arrests and Imprisonment in some cases-then bribed-discredited-killed.
Package C: The Grave Yard, Your library card expires, you have gained too much knowledge of their crimes against the American People and Frauds against the United States of America, and you get killed, terminated with prejudice. For speaking the truth.
Plaintiff will show he has been subjected to elements of each of the three “packages”, including attempts on his life, while in Federal Custody and other custody. Further will show that he has been a target of Racketeering and Corrupt over the past 40 years, in Violation of numerous Federal, State and County/Local Laws. Plaintiff will also show the complicity of Defendants Leonard Millman and Elaine Millman, with others, named and yet unnamed co-conspirators. Including Governmental Officials, have been engaged in A Pattern of Continuous Criminal Activities, continuously against not only Plaintiffs Stewart A. Webb and Amanda M. Webb,
But against the United States of America in Violation of Nemours Laws of the Land, and Federal Codes as stated in Plaintiffs filing September 18, 2001.
REQUEST FOR RELIEF WITH NUMEROUS DAMAGES
TYPES OF RELIEF
Count 1: I believe that I am entitled to the following relief:
Stop RICO against Plaintiffs, Stewart A. Webb and Amanda M. Webb, and Allow Court Order to lift illegal permanent restraining order, further to be compensated and awarded Damages under numerous violations of Federal Laws 28 USC 1343(a)(3) and 42 USC 1983-, And be Awarded Damages which are allowed by Law. Plaintiff further asks the court to award Damages and be compensated for numerous Violations of Federal, State and County Laws-relating to the false arrests and imprisonment, harassment, packages A, B, attempted C, as described in History of case affecting background.
TYPES OF RELIEF Allowed Under Federal Laws and herein the Plaintiff is asking for are as follows, Annoyance, Anxiety, Compensatory, Declaratory, Exemplary Damages, Harassment, Injunctive, Mental Anguish, Monetary, Nominal Damages, Punitive Damages, Slander and Emotional Distress, as stated and not yet stated in this complaint do to secret Grand Jury Request.
Totaling:
Twenty Million Dollars
from Named and unnamed co-conspirators.
Count 2:
As stated in filing of September 18, 2001 Plaintiffs request to appear before a Federal Grand Jury, invoking the Laws stated and others to protected witnesses with first hand knowledge,
And others 1-1000, under Criminal and Civil Laws Stated in Plaintiff’s filing.
Count 3:
Invoking False Claims Act-Defrauding the Department of Housing and Urban Development of 500,000 apartment-condo-retirement-units section 8 low income housing I Stew w\Webb was the Federal Whistleblower on in 1989 evidence herein, Currently under the Umbrella REIT known as “AIMCO” a reit run by Norman Brownstein and Terry Considine out of The Denver Connection with Leonard Millman Kingpin of the Denver Connection to the Bush Crime Family,
Possible estimated value of the units
exceeds 500 Billion Dollars
, defrauded and stolen from the United States Government.
Further invoking under False Claims Act the Plaintiffs Stewart A. Webb and Amanda M. Webb’s rights to
one third of recovery to The United States of America. Count 4
Defrauding the People of The United States Of America out of over
500 Billion
through numerous other frauds against the United Sates Government and the American People. And invoking recover under False Claims, Criminal and Civil as stated in count 3.
Count 5 Grand Jury Investigative Demands, OF Defendants involved in murder, insider trading, narcotics trafficking, Narcotics Money Laundering, Government Contract Frauds, Treason Against The United States of America-in violations of The Barkley Cole Indenture Act.
Count 6
The Plaintiff can and will show that The above named Defendants have stolen over
ONE TRILLION DOLLARS FROM THE UNITED STATES OF AMERICA, AND THE AMERICAN PEOPLE. Count 7
Plaintiff WILL PROVE TERRORIST ACTIVITY AGAINST THE UNITED STATES OF AMERICA BY THE DEFENDANTS.
Count 8 Plaintiff will further show additional undisclosed Criminal Activity (RICO-CCE) of Defendants named and unnamed.
TEMPORARY RESTRAINING ORDER
TEMPORARY
RESTRAINING
ORDER
AND
NOTICE
OF
HEARING
18 U.S.C. 1514, Sec. 1514. – Civil action to restrain harassment of a victim or witness (a)
(1) A United States district court, upon application of the attorney for the Government, shall issue a temporary restraining order prohibiting harassment of a victim or witness in a Federal criminal case if the court finds, from specific facts shown by affidavit or by verified complaint, that there are reasonable grounds to believe that harassment of an identified victim or witness in a Federal criminal case exists or that such order is necessary to prevent and restrain an offense under section
1512
of this title, other than an offense consisting of misleading conduct, or under section
1513
of this title. (2) (A) A temporary restraining order may be issued under this section without written or oral notice to the adverse party or such party’s attorney in a civil action under this section if the court finds, upon written certification of facts by the attorney for the Government, that such notice should not be required and that there is a reasonable probability that the Government will prevail on the merits. (B) A temporary restraining order issued without notice under this section shall be endorsed with the date and hour of issuance and be filed forthwith in the office of the clerk of the court issuing the order. (C) A temporary restraining order issued under this section shall expire at such time, not to exceed 10 days from issuance, as the court directs; the court, for good cause shown before expiration of such order, may extend the expiration date of the order for up to 10 days or for such longer period agreed to by the adverse party. (D) When a temporary restraining order is issued without notice, the motion for a protective order shall be set down for hearing at the earliest possible time and takes precedence over all matters except older matters of the same character, and when such motion comes on for hearing, if the attorney for the Government does not proceed with the application for a protective order, the court shall dissolve the temporary restraining order. (E) If on two days notice to the attorney for the Government or on such shorter notice as the court may prescribe, the adverse party appears and moves to dissolve or modify the temporary restraining order, the court shall proceed to hear and determine such motion as expeditiously as the ends of justice require. (F)
A temporary restraining order shall set forth the reasons for the issuance of such order, be specific in terms, and describe in reasonable detail (and not by reference to the complaint or other document) the act or acts being restrained. (b) (1) A United States district court, upon motion of the attorney for the Government, shall issue a protective order prohibiting harassment of a victim or witness in a Federal criminal case if the court, after a hearing, finds by a preponderance of the evidence that harassment of an identified victim or witness in a Federal criminal case exists or that such order is necessary to prevent and restrain an offense under section
1512
of this title, other than an offense consisting of misleading conduct, or under section
1513
of this title. (2) At the hearing referred to in paragraph (1) of this subsection, any adverse party named in the complaint shall have the right to present evidence and cross-examine witnesses. (3) A protective order shall set forth the reasons for the issuance of such order, be specific in terms, describe in reasonable detail (and not by reference to the complaint or other document) the act or acts being restrained. (4) The court shall set the duration of effect of the protective order for such period as the court determines necessary to prevent harassment of the victim or witness but in no case for a period in excess of three years from the date of such order’s issuance. The attorney for the Government may, at any time within ninety days before the expiration of such order, apply for a new protective order under this section. (c) As used in this section – (1) the term ”harassment” means a course of conduct directed at a specific person that – (A) causes substantial emotional distress in such person; and (B)
serves no legitimate purpose; and (2) the term ”course of conduct” means a series of acts over a period of time, however short, indicating a continuity of purpose
Pursuant to C.R.S. 14-1-101 et seq.(Domestic Abuse Act)
False arrest and imprisonment.
NOW COMES Plaintiff, Stewart A. Webb and prays this Court to
hold a hearing to prevent further False Arrest and Imprisonment of the Plaintiff Stewart A. Webb. By these illegal government agencies, and to deist and deceits from any further false arrests. Plaintiff requests a Permanent Restraining Order against all the named Defendants in this Suit
As of Jan 1995 a False charge related to perjured statements by Defendants Leonard Y. Millman, Kerre S. Millman, and Elaine Ruth Millman, had effectuated a false arrest warrant for the Plaintiff Stewart A, Webb by the Denver, CO. Police Department.
The Plaintiff has demonstrated through this filing that the Complaint of the Plaintiff warrants a hearing to establish that sufficient cause exist to enter this order to prevent domestic abuse and Federal, State, Municipality Abuse of power and abuse of process, to prevent malicious prosecution, and demonstrate that Equal Justice under the Law exists For All.
Further, since the Plaintiff, Stewart A. Webb has been threatened by Many of the Defendants. Primary Defendants Leonard Yale Millman, Kerre S. Millman, and Elaine Ruth Millman, and since the Plaintiff is a former son-in-law of Defendants Millmans and since Defendant Leonard Yale Millman has threatened Plaintiff in the past with death, August 1984, Millman stated: In reference to August 1984 Conversations “I AM GOING TO GET HER(Kerre Webb for psychiatric help) HELP, I’M GOING TO BLOWER YOUR HEAD OFF YOUR FUCKING SHOULDER”. Further Plaintiff, Stewart A. Webb Believes that due to Defendants Leonard Millman and Elaine Ruth Millman’s BECAUSE OF THEIR ILLEGAL “ORGANIZED CRIME ACTIVITY AND DIRECT TIES,FINANCIAL AND PERSONAL TO KNOWN ORGANIZED CRIME FIGURES,
INCLUDING MILLMAN’S, THE PLAINTIFF FEELS HE IS IN
IMMEDIATE LIFE THREATENING DANGER, BECAUSE OF LEONARD MILLMANS DIRECT ILLEGAL MONEY LAUNDERING FOR A GEORGE BUSH, AND BILL CLINTON’S NARCOTICS SMUGGLING INTO THE UNITED STATES IN VIOLATIONS OF MANY FEDERAL AND COLORADO STATE LAWS, AND FURTHER DUE TO “ONGOING OBSTRUCTION OF JUSTICE” ON THE PARTS OF THE ACTING UNITED STATES ATTORNEY GENERAL,WITH THIS POLITICAL INFLUENCE WITH CRIMINAL ROUGH US GOVERNMENT, STATE, COUNTY, GOVERNMENT OFFICIAL,SOME NAMED IN PREVIOUS FILING FOR ACCEPTING BRIBES TO OBSTRUCT JUSTICE. THEREFORE THE LIKELY HOOD OF FALSE ARREST OR DEATH
PACKAGES B, AND C., AS PREVIOUSLY DESCRIBED HEREIN. IS IMMANENT. EXAMPLE OF CURRENT THREATS; the Plaintiff Stew Webb has had Death Threats by Predicate Felon Tim White acting under the direction of the
Denver FBI & Denver Police Department, further death threats have been made against Plaintiff Stewart Webb and Witness Barbara Hartwell by Government Stalker Brenda Negri.
Therefore: The Plaintiff, Stewart A. Webb asks this court to invoke the C.R.S/ 14-4-101(2), and that physical and emotional harm would result unless a Temporary restraining Order be invoked immediately, with request for Permanent Restraining Order.:
Against all the above named Defendants………………………………
Including any Private investigators, who are hired by Leonard Millman.
IT Is HEREBY ORDERED THAT, UNTIL FURTHER NOTICE OF THIS COURT;
You, the Defendants, or anyone (Except your attorney) acting under your control and direction, are not to contact, threaten, molest or injure the Plaintiff’s Stewart A. Webb or Amanda M. Webb, Amanda Millman the plaintiffs daughter, Including Key witnesses Barbara Hartwell. Including but not limited to, Plaintiff’s home or work.
Do not telephone, follow, or visit the Plaintiff anywhere, Do not touch, Talk to, or write to plaintiff, for any reason. Do not try to pressure the other party to dismiss this or any other case. Cueist and Deceit from writing anything in regards to Plaintiff on the internet or Yahoo groups, including death threats, slander, intimidation anything mentioning Plaintiffs name or Plaintiffs witnesses…
Stay away, Do not come any closer than 100 Yards to the Plaintiff wherever he may be. If you see him anywhere, move at least this distance away immediately. Also stay at least that distance away from the following locations, the Plaintiffs work home and automobile.
It is further ordered that the Defendants shall not arrest, or falsely charge the Plaintiff with any false crimes.
NOTICE
TO
DEFENDANTS; THIS ORDER IS IN EFFECT UNTIL THE _____DAYOF________ 2005 AT ____AM/PM, AT WHICH TIME IT WILL BECOME PERMANENT, UNLESS YOU APPEAR IN PERSON AND SHOW CAUSE WHY THIS ORDER SHOULD NOT BE MADE PERMANENT. YOU MAY BRING YOUR ATTORNEY AND/OR WITNESSES WITH YOU.
IF YOU VIOLATE THIS ORDER THINKING THAT THE OTHER PARTY HAS GIVEN YOU PERMISSION TO DO SO, YOU ARE WRONG AND CAN BE ARRESTED AND PROSECUTED. THE TERMS OF THIS ORDER CAN NOT BE CHANGED BY AGREEMENT OF THE PARTIES. ONLY THE COURT CAN CHANGE THIS ORDER. VIOLATION OF THIS ORDER WILL CONSTITUTE CONTEMPT OF COURT AND IS ALSO A CRIME UNDER THE LAWS OF THE UNITED STATES AND THE STATE OF COLORADO, PUNISHABLE BY MAXIMUM OF 6 MONTHS JAIL AND $1,000.00
FINE PER VIOLATION, AND UP TO 2 YEARS JAIL AND $5,000.00 FINE IF YOU HAVE A PRIOR CONVICTION UNDER THIS LAW.
NOTICE TO PLAINTIFF
(S); IT IS IMPORTANT THAT YOU KEEP A COPY Of THIS ORDER ON YOU AT ALL TIMES. IF THE POLICE ARE CALLED REGARDING A VIOLATION OF THIS ORDER, THEY WILL ASK TO SEE THIS ORDER.
NOTICE TO LAW ENFORCEMENT OFFICIALS; VIOLATION OF THIS ORDER IS A CRIME PURSUANT TO C.R.S. 18-6-803.5 AND D.R.M.C. 38-43. IT IS REQUIRED THAT THERE BE PROOF OF SERVICE OR THAT THERE BE CREDIBLE EVIDENCE THAT THE PERSON NAMED IN THE ORDER HAS RECEIVED ACTUAL NOTICE OF EXISTENCE AND SUBSTANCE OF THIS ORDER. PURSUANT TO CRS 14-4-104, IF THE RESPONDING LAW ENFORCEMENT OFFICIAL HAS PROBABLE CAUSE TO BELIEVE A VIOLATION OF THIS ORDER HAS OCCURRED IT IS STATUTORY DUTY TO ARREST THE VIOLATOR(S) AND TAKE HIM/HER IMMEDIATELY BEFORE THE FEDERAL COURT OR COUNTY COURT OR, IF THAT COURT IS NOT IN SESSION, TO THE NEAREST JAIL UNTIL THE CONVENING OF THE NEXT SESSION OF THE COURT. IT IS ALSO YOUR STATUTORY DUTY TO INFORM THE PROTECTED PERSON(S)OF THEIR RIGHT TO INITIATE CONTEMPT PROCEEDINGS AGAINST THE VIOLATOR(S)IN THIS COURT. IT IS ALSO YOUR STATUTORY DUTY TO SERVE A COPY OF THIS ORDER ON THE DEFENDANT IF THE ORDER HAS NOT BEEN PERSONALLY SERVED AND TO ACCOMPANY THE DEFENDANT ONCE TO THE RESIDENCE FROM WHICH SHE/HIM HAS BEEN EXCLUDED TO OBTAIN UNDISPUTED PERSONAL EFFECTS.
KNOWING VIOLATION OF A RESTRAINING ORDER IS A CRIME UNDER SECTION 18-6-803.5 C.R.S.
TO THE CLERK OF THE COURT:
Please Note: previous filing Feb. 2, 1995 and the recusal of certain Judges for Obstruction of Justice regarding Bribes and Payoff to Obstruct Justice, pertaining to Defendants. (See original filing pages 1-7 by Plaintiff Stewart A. Webb) I understand that a false statement or answer to any question in this complaint will subject me to penalties of perjury. I declare under penalty of perjury under the laws of the United States of America that the forgoing is true and correct See 28 USC 1746 and 18 USC 1621.
Dated:___________________
Respectfully submitted
Plaintiff,
_________________________
Stewart A. Webb
@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@@
Part 1 of 2
Part 2 filed Oct 5, 2001
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF NEVADA
Case Number: CV-S-01-0714-PMP-PAL Filed This Date: September 18, 2001 Stewart A. Webb,
And in behalf of
Amanda Melia Webb (Amanda Millman)
Plaintiff’s Minor Daughter,
And in behalf of
The People Of The United States of America And the United States Government. P.O.Box 31052 Las Vegas, Nevada 89173-1052 stewwebb@sierranv.net Plaintiffs, Vs. Kerre Sue Millman
(Co-Conspirator /Plaintiff’s ex-wife and Attempted Murderer of Plaintiff’s Daughter Amanda Melia Webb)
Leonard Yale Millman
(Co-Conspirator
Bush Crime Family
Money Launder/Kingpin/Scamster/Terrorist
“The Denver Connection”)
(Note: wwwalmartinraw.com)
Elaine Ruth Millman
(Co-Conspirator)
George Herbert Walker Bush
(Co-Conspirator Ex CIA Director/Former US President)
(
Note: www.almartinraw.com)
Neil Bush
(Co-Conspirator Former Director Silverado Savings & Loan) (Note: www.almartinraw.com)
Jeb Bush
(C0-Conspirator Governor Florida) (Note: www.almartinraw.com)
Carl Lindner
(Co-Conspirator
Bush Crime Family
Money Launderer/Kingpin/Scamster
“The Ohio Connection”)
(Note: www.almartinraw.com) (1 of 8)
Gale Norton
(Co-Conspirator US Secretary Of Interior/ Former Attorney General Colorado) (Note: www.almartinraw.com)
Phillip D. Winn
(Co Conspirator Convicted Hud Figure/Former Swiss Ambassador/Pres. Pardoner MDC Director) (Note: almartinraw.com)
Larry A. Mizel
(Co Conspirator CEO MDC Holdings, Inc. Parent Co. of Silverado/Imperial Savings) (Note: wwwalmartinraw.com)
Norman Phillip
Brownstein (Co-Conspirator Council to CIA Director George Bush Current Bush Crime Family Attorney, Former MDC Director) (Note: www.almartinraw.com)
Oliver North
(Co-Conspirator) (Note: www.almartinraw.com)
Hillary Clinton
(Co-Conspirator CIA Counsel US Senator Ny.) (Note: www.almartinraw.com)
William Jefferson Clinton
(Co-Conspirator CIA Agent/Former US President) (Note: www.almartinraw.com)
Charles Keating
(Co-Conspirator CEO Lincoln Savings/CIA Operative) (Note: wwwalmartinraw.com)
Federico Pena
(Co-Conspirator Former Mayor Denver, Co., Former Secretary Transportation/ Resigned Sec Energy while under indictment) (Note: www.almartinraw.com)
Wellington Webb
(Co-Conspirator Mayor Denver, Colorado)
Meyer Blinder
(Co- Conspirator CEO Blinder/Robinson/National Brokerage Group of Companies) (Note: www.almartinraw.com)
Linda Thomas
(Co-Conspirator Judge Dallas, TX.)
Zita L. Weinshenk
(Co-Conspirator US Federal Judge Denver)
Edward Nottingham
(Co-Conspirator US Federal Judge Denver)
Sherman Finsilver
(Co-Conspirator Retired US Federal Judge Denver)
Henry Solano
(Co-Conspirator Former US Attorney, Denver) (2of 8)
Michael J. Norton
(Co-Conspirator Former US Attorney, Denver)
Greg C. Graff
(Co-Conspirator Assistant US Attorney, Denver)
Thomas O’Rourke
(Co-Conspirator Assistant US Attorney, Denver)
F. Joseph Mackey
(Co-Conspirator Assistant US Attorney, Denver)
Charles Szekely
(Co-Conspirator Assistant US Public Defender, Denver)
Charles Sandage
(Co-Conspirator)
Lee Redneick
(Co-Conspirator Inspector General US Department of Justice Public Integrity Section Washington. DC.) (Note: www.almartinraw.com)
David Mann
(Assistant Inspector General US Department of Justice Washington DC.)
Robert Pence
(Co-Conspirator Former FBI/sac Denver)
James M. Lyons
(Co-Conspirator Director MDC)
Allan Karsh
(Co-Conspirator Denver Kingpin Leonard Millman’s Brother-in-law)
Ted L. Gunderson
(Co-Conspirator Former FBI/sac LA, CA., Current Illegal CIA Operative/Missile exportation, Narcotics Importer/Scamster) (Note: Newsmakingnews.com)
Thomas Gaule
(Co-Conspirator Convicted Killer, Las Vegas NV. Mental Case/Sidekick-Co-Conspirator to CIA Ted Gunderson)
Anna May Newman
(Co-Conspirator Former employee for CIA Agent Clint Murchison side-kick-to CIA Ted Gunderson)
Las Vegas Police Department (Unnamed co-conspirators) Las Vegas District Attorneys Office
(Unnamed co-conspirators)
Las Vegas FBI Office (Unnamed co-conspirators)
(3 of 8)
Las Vegas US Attorneys Office
(Unnamed co-conspirators)
Nevada Attorney General’s Office
(Unnamed co-conspirator)
Additional Yet Unnamed Defendants 1-1000 and Co-Conspirators Defendants,
MOTION FOR HEARING TO PRESENT EVIDENCE BEFORE THE UNITED STATES FEDERAL GRAND JURY
COMES NOW, the Plaintiff, Stewart A. Webb, pro se,
and moves the District Court to enter orders directing the Federal Grand Jurors to hear allegations and testimony of the Plaintiff and others, (in secret) concerning the above named and Yet unnamed Defendants and their participation in a Continuous Criminal Enterprises, Racketeering Influence Corruption Organization (RICO), Obstruction of Justice,
(under color and cover of law) Narcotics trafficking into the United States of America, Racketeering and Conspiracy to defraud the People of the United States of America. (
The West Virginia Supreme Court of Appeals holds that a prosecutor may not prevent a citizen from presenting a complaint to the Grand Jury.
“To fulfill its function of protecting individual citizens and providing them with a forum for bringing complaints within the criminal justice system, the Grand Jury must be open to the public for the independent presentation of evidence before it. If the Grand Jury is available only to the prosecuting attorney and all complaints must pass through him, the Grand Jury can justifiably be described as a prosecutorial tool…We therefore hold that, by application to the Circuit Judge, whose duty it is to insure access to the Grand Jury, any person may to the Grand Jury to present a complaint to it.” Furthermore, the Court continues, a prosecutor may not render unsworn testimony in an attempt to dissuade the Grand Jury from hearing the Citizen’s evidence. Finally, a writ of prohibition will lie to prevent a prosecutor from attempting to discourage the Grand Jury from hearing the complaint.
(Miller v. Smith; W Va Sup Ct App, 12/18/81).
If a U.S./District Attorney fails/refuses to sign and execute a valid Grand Jury Indictment, the Grand Jury can hold that U.S./District Attorney in Contempt and order the Sheriff or Marshals to arrest and hold him in jail until he either signs and executes the Indictment or else resigns his job as U.S./District Attorney (Public Servant). This is the absolute power of the Grand Jury, and the Sheriff/Marshal, as executor of the Grand Jury’s will. (4 of 8)
NATURE OF CASE AND BACKGROUND FACT
Plaintiff, along with others (numerous witnesses) unnamed at this time, have documentation and evidence from “first person” observation that will show above named Defendants and unnamed Defendants and others have engaged in Continuous Criminal activity for an unspecified period of time and have defrauded the united State of People and the Government of the united State and of several States by actions which are codified in the United States Code as criminal in nature and that have duly been passed by the Congress as Criminal Activity. Plaintiff requests that a US Federal Citizens Grand Jury be convened at the earliest practical time so that this testimony and presentation of evidence may be offered.
Plaintiff, having been related through marriage to Leonard Yale Millman and Elaine Ruth Millman, has observed specific criminal activity with respect to the business operations and affiliations of Leonard Yale Millman (an organized crime figure) and his direct and indirect participation with other Co-Conspirators and Co-Defendants named and unnamed in the captioned case and demands the opportunity to testify to a Federal Grand Jury relating to these Crimes. Plaintiff is well apprised of making false statements to a government agency under 18 USC 35, 1001, 2071 and others and demands to bring forth evidence under oath or affirmation as to the substance of these allegations.
Plaintiff wishes to notice the Court and that it would be a MISPRISION OF FELONY under 18 USC 4 to fail to disclose felonious acts that have been witnessed by or that have come to the attention of the Plaintiff. Plaintiff and others are also aware that Treason and Sedition against the United States of America and its People have been committed by the above named and unnamed defendants and Co-Conspirators. JURISDICTION AND VENUE
Plaintiff wishes to bring forth evidence to the Federal Grand Jury concerning crimes, which have been committed against the United States of America and its People. Plaintiff will show through evidence and testimony that various felonious acts including Perjury to arrest Plaintiff, Theft through Government Contract Fraud, HUD Fraud, FDIC Fraud, Attempted Murder of Plaintiff, Attempted Murder of Plaintiffs Daughter, Murder, Intimidation, False Imprisonment to Silence A Federal Whistleblower/Informant, Perjury, Malious Prosecution of Plaintiff, High Treason, Obstruction of Justice, Bribes paid to obstruct justice, Narcotics Trafficking, Money Laundering, Real Estate Loan Fraud, Securities Fraud, Oil and Gas Fraud, Savings and Loan Fraud, (5 of 8) Blackmail of US Congressman and Senators and other public officials, extortion, Attempted murder, murder and the cover up there of, intimidation of witness, false arrests and imprisonment of plaintiff and witness, have been committed by Defendants, both named and unnamed
Under the Federal Criminal Statues embodied in Several Titles of United States Code Both Civil and Criminal as follows:
In Violations of the following named and unnamed Laws and US Codes:
Please Note: Venue Quo Warranto Government Official refuses to do their jobs. I am note educated in law and am pro se litigant there are numerous other violations that can be presented upon testimony).
Numerous Violations of Due Process of Law. Plaintiffs federal claim arises pursuant to the Federal Whistleblowers Act/Judicial act 31 USC 3729 through 3732. And the following: Quo Warranto
(Public Servants refuse to do their job)
Money Laundering Control Act Uniform Child Custody Jurisdictional Act 28 USC 1391 Bank Secrecy Act Titles:18 USC 1503 Intimidate a Witness, 18 USC 1510 Obstructing a Criminal Investigation, 18 USC 1512 Tampering with a witness, Victim or Informant, 18 USC 1512 Engaging in Misleading Conduct 18 USC 1512 (a) (l) (c) Criminalizing the Act of Preventing Communications to Authorities when the Communications relate to the possible commission of Federal Offenses 18 USC 1513 Retaliation against a witness, victim or an informant 18 USC 4 Federal Reporting Crime Act (whoever having knowledge of the actual commission of a felony cognizable by a court of the united States, conceals and
does not, as soon as possible, make known the same to some judge or other person in civil or military authority under the united States shall be fined not more than $500.00 or imprisoned not more than three years or both). 28 USC 1331 Violations of the Barkley Cole Indenture Act. 28 USC 1343 28 USC 1443 42 USC 1983, 1985, 1986, 1987 Civil Rights and Whistleblower case laws. 18 USC 1001 Perjury and false complaints 18 USC 371 Defraud the United States 18 USC 1002, 1003, 1005, 1006, 1007, 1008, 1010, 1011, 1012, 1016.
(6 of 8)
18 USC 1927 Through 18 USC 1967 (RICO) Racketeering, Influence, Corruption, Organization Act 18 USC 1960, 1901, 1905, 1911, 1952, 1956, 1957, 1961, 1962, 1963, 1964 (RICO) Civil RICO Continuous Criminal Enterprise Act (CCE) 18 USC 241 Conspiracy 18 USC 242 Conspiracy 31 USC 3729 False Claims Act 22 USC 445 (Treason) Neutrality Act of 1939 22 USC 447 Neutrality Act of 1939 18 USC 1505 18 USC 1514
18 USC 1515 18 USC 1701 18 USC 1702 18 USC 1708 18 USC 1909 18 USC 2071 18 USC 35 Imparting or conveying false information. 18 USC 494, 513, 641, 648, 656, 657, 658, 664. 18 USC 921, 926, (a) 929, 969, 982. 18 USC 1163, 1344, 1345. 18 USC 2381 TREASON 18 USC 2382 Misprision of Treason 18 USC 2383 Rebellion or Insurrection 18 USC 2384 Seditious Conspiracy 18 USC 3130—-3730 Money Laundering 18 USC 1968 Civil Investigative Demand 18 USC 2521 18 USC 1621, 1622, 1623. 18 USC 1113 18 USC 875 (c) Death threats against Plaintiff beginning in 1984. And others. 18 USC 1117 Conspiracy to Murder Plaintiff. 18 USC 1952 (a), 1952 (b), (4) (3) (6)
18 USC 2251, 2252, 2253, 2254. 18 USC 3109 18 USC 2421, 2422, 2423. 18 USC 3057, 3059, 3060, 3071, 3076, 3077. 18 USC 1503 28 USC 1331, 1332, 28 USC 1391
(7 of 8)
18 USC 1983—-1985 18 USC 2381, 2382, 2383, 2384. Therefore, premises considered, this action is properly grounded in both jurisdiction and venue under the Federal Rules of Criminal Procedure (F.R.Cr.P.) WHEREFORE,
premises considered and good cause having been shown that these allegations are in the public’s interest, Plaintiff moves the Court to grant the convening of a Grand Jury at a specified time and place as the Court deemed proper so that Plaintiff and others may bring forth evidence to demonstrate that violations of the Laws of the united States of America have been violated and that
Defendants are currently Engaged in an Ongoing Continuous Enterprise and the Plaintiff and others lives are in danger of this filing.
Respectfully submitted, Stewart A. Webb September 18, 2001 (8 of 8) Donations always welcome
to further expose these criminal Please send return receipt requested to the above address, Thank You. Stew Webb Federal Whistleblower
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS
STEWART A. WEBB
Plaintiff,
v
. Case No: _______________________ Filed September 5, 2012 HON. JUDGE KATHRYN H. VRATIL,
in her Official capacity as Chief Judge for the United States District Court for the District of Kansas
UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS
Defendant,
AFFIDAVIT IN SUPPORT OF STEWART A. WEBB COMPAINT FOR INJUNCTIVE RELIEF AGAINST THE HON. KATHRYN H. VRATIL, AND THE
U.S. DISTRICT COURT OF THE STATE OF KANSAS, et al. STATE OF KANSAS ) )
) SS
)
COUNTY OF JOHNSON )
I, Stewart A. Webb, being of legal age and duly sworn, to hereby attest to the following; 1). That I am the Plaintiff in the action and in behalf of The United States of America Whistleblower-False Claims Act to which this affidavit has been crafted. 2). I make this petition for injunctive relief under the 1
st
and 6
th
Amendment of the United States Constitution from preventing Bret Landrith from Representing Stewart A. Webb Plaintiff in Grand Jury Case # 95Y107 and RICO-False Claims Act and Quo Warranto. 3). I am the victim of ongoing wrongful acts by Federal and State actors, under the color of law, in violation of his federally guaranteed constitutional rights, by Federal and State of Kansas officials, actors, agents, subcontracted agents, et al. 4). I am not an attorney, nor can I represent a class. 5). I am aware of matters pertaining to Bret Landrith, Leonard Millman, Elaine Millman, Kerre Millman, Larry Mizel, George H. W. Bush, George W. Bush, William Clinton, Hillary Clinton, Jeb Bush, Neil Bush, Barack Obama and others. Bribes paid to Current and Former U.S. Justice Department
Officials to Obstruct Justice and hid from authorities massive Crimes which include but not limited to; High Treason and Sedition against The United States of America and Trillions Stolen from the United States Treasury through Government Contract and other Frauds including the Illegal Tarp and Bank Bailouts. 6). I have proof of matters pertaining to attempted murder and kidnapping
of Plaintiff’s Daughter Amanda Melia Webb by her mother Kerre S. Millman
in 1984 and 28 years without Justice and due process of law being afforded the Plaintiff Stewart A. Webb or Amanda Melia Webb due to Frauds Upon The Courts, Obstruction of Justice and the Bribing of Judges, U.S. Attorneys, FBI Agents and others, including an illegal life time restraining order against Plaint
iff from having contact with Plaintiff’s adult 28 year old
Daughter Amanda Webb name illegally changed to Amanda Millman under Frauds Upon The Courts to prevent Plaintiff from having a Father Daughter Relationship, including a relationship with Plaintiffs Grandson and Son in law. 7). See below
MOTION FOR TRANSFER OF GRAND JURY SITUS Which Details the ongoing Illegal Racketeering and Attempted Murder of Plaintiff Stewart A. Webb by The Leonard Millman Organized Crime Syndicate using Private Investigator Orion Investigations of Overland Park, Kansas, DHS Department of Homeland Security Personnel with ties to the FBI in Houston Texas. a.
Which details evidence of Attempted Murder of Plaintiff Stewart A. Webb b. Violations of 18 U.S.C. 1960, 1961 Criminal and Civil RICO Racketeering Influence and Corruption Organization c. Violations of 18 U.S.C. 4 Federal Reporting Crimes Act,
d. Violations of 18 U.S.C. 1010, 1011, 1012, 1013, 1014, 1015 Retaliation against witness and informants, Whistleblowers e. Violations of 42 U.S.C. 1983, 1985 Violations of Civil and Constitutional Rights afforded the Plaintiff under U.S. Laws and Kansas and Missouri States Laws. f. Violations of Various Federal and States Stalking Laws. g. Intentional destruction of Plaintiffs computers by AT&T telephone and internet service involved with DHS Department of Homeland Security telephone number 816 478-3267 816 478-3267 FREE on July 15-22, 2012. h. Burning down Plaintiffs Customers house on October 8, 2011 at 3418 W 77th Terrace, Prairie Village, Kansas valued at $160,000.00 to interrupt
Plaintiffs Business which the owner’s fire
insurance had lapsed. The Plaintiff has a detailed log of the Vehicle License Plates who stalked the Plaintiff Stewart Webb a few consecutive days prior to the house being destroyed.
http://pvpost.com/2011/10/08/fire-guts-vacant-house-east-of-prairie-village-
city-hall-7069
i. Violations of Various Missouri State Insurance Laws involving RICO and Badfaith settlements and Federal Civil RICO law Violations involving Viking Insurance Co. aka Sentry Insurance Co. aka Dairyland Insurance Co. involving a car accident on November 11, 2011 in which the Plaintiff was hit in the left side two times on I-470 in Lees Summit, Missouri at 60 mph and the Driver Jay D. Stevens was ticketed by the Missouri Hi-way Patrol and found guilty in Jackson County Court, Independence, Missouri court case number 700228680 on April 19, 2012.
The Driver Jay D. Stevens had been stalking the Plaintiff for over one hour prior to the so-called accident with an additional vehicle following behind Stevens a Black Dodge Pickup. The Driver Jay D. Stevens may be the same Jay Stevens owner of Jays Truck Driving School of Kansas City-St. Joe, Missouri a know Iran-Contra Drugs Smuggler who was named in the Iran-Contra Mena, Arkansas Oilver North-Bill and Hillary Clinton-George H. W. Bush and Leonard Millman illegal drug for guns operations and investigations by Independent Prosecutor Judge Lawrence Walsh. Plaintiff Stewart A. Webb filed over 1,000 pages as a criminal referral in 1990 to the IRS under the Whistleblower Act turning in Leonard Millman MDC Holdings, Inc. (MDC-NYSE) the Parent company of Silverado Savings and Loan were Neil Bush was a Director. Silverado was a illegal Narcotics Money Laundry controlled by Leonard Millman, Plaintiffs ex-in-law. Shortly thereafter in 1990 the Plaintiff Stewart A. Webb was contacted by an active IRS Investigator unnamed wanting to know if Plaintiff had any information
why Jay’s Truck Driving School had Milli
ons of Dollars in Accounts at Silverado Savings and Loan. The IRS Agent investigator was terminated and actual became an IRS Whistleblower over Jays Dug Money Laundry Accounts TV-5 in Kansas City, Missouri did a complete report of Jays Truck Driving School which aired on KCTV-5 in Kansas City, Missouri between 1990 and 1992 by Reporters Stan Carmack or Stan Kramer. Why has the above named insurance company committed RICO, Bad Faith Acts against the Plaintiff Stewart Webb by not paying the Plaintiff the $2,800.00 value of the Plaintiff destroyed-totaled Van. Why has the named above insurance companies offered first $900.00 then $1,600.00 after Plaintiff provided evidence the Plaintiff had paid in total receipts $2,800.00 for the Van and the repairs. The Van today would sell for over $3,000.00 in
the Kansas City used Van Market. Today as of this filing the Plaintiff is without a vehicle which is destroyed and sits in his driveway. The Plaintiff has incurred over $50.000.00 in lost wages since October 8, 2011 and over $25,000.00 in medical as a result of this accident or attempted murder or what ever you would call this. Yet as of August 28, 2012 an agent from the above named insurance company called the Plaintiff to make a Bad Faith Settlement of $1,600.00 for the Plaintiffs Van and $1,500.00 for the medical injuries. The total damages to the Plaintiff as of this date exceeds $80,000.00 plus permanent injuries, pain and suffering RICO and other damages the Doctors who have and are treating the Plaintiff have told Plaintiff he will have to find another profession other than a Building Contractor that the Plaintiff is not now able to do the physical work he was doing at the time of the accident on October 8, 2012. g. Violations of Failure to Protect Laws in Missouri by the Raytown, Missouri Police Department after a Gun was pulled on the Plaintiff in rush hour traffic on June 1, 2012 at 5:45 pm Raytown Police Report number 12-1470 yet the Plaintiff provide Raytown Police with the License Number Missouri CG8-Z1Y a Black 2 door Honda which the Detective J.D. Lawrence has never returned the Plaintiffs telephone calls. A witness who was behind the Plaintiff also called the Police stating they saw the incident. Pointing a 9mm handgun at someone is a form of assault and battery with a deadly weapon. As of this filing no one has been arrested. This is failure to protect and another violation of U.S. Law 42 U.S.C. 1981 and other State of Missouri Laws. h. Violation of Mail and wire Frauds Laws Illegally Blacklist my emails on the internet and hijacking email list by spamming repeat up to 9 times in one hour by FBI and DHS Department of Homeland security.
i. Violations of retaliation against Whistleblowers, Informants, Witnesses 18 U.S.C. 1010-1015, and RICO 18 U.S.C. 1960, Slander, Defamation of Character by various actors on the internet acting in behalf and on the payroll of FBI #5 the DHS Department of Homeland Security including Ex FBI Agent Ted Gunderson who tried to extort Plaintiff Stewart Webb and had a Las Vegas Police Swat Team Destroy the House Plaintiff was living in after 5 hours of interrogation by Las Vegas Detectives the Police left with no further actions or charges against Plaintiff Stewart A. Webb. After Plaintiff filed a Restraining order against Ted Gunderson and
Gunderson’s side kick Murderer Tom Gaul of Las Vegas Gaul filed illegal
assault charges against Plaintiff Stewart Webb that were dismissed 1 ½ years later by the Las Vegas District Attorney.
http://www.tedgunderson.com
Ken Adachi
http://www.educate-yourself.org
who has lots of slanderous illegal pages on his website and was directly involved with Ted Gunderson in his illegal setting up of Dave Hinkson on an illegal 40 year prison term for a so called murder for hire scheme
http://www.davehinkson.com
http://www.rolandhinksonfiles.com
in which the Plaintiff Stewart Webb testified in behalf of Dave Hinkson. Ted Gunderson wrote a similar letter to the U.S. Attorney General and was involved with Timothy White on FBI Payroll in a similar falsified murder for hire scheme against the Plaintiff Stewart A. Webb. Denver FBI Paid Stooge and Cross-dresser Timothy Patrick White That posts his slanderous lies on various yahoo.com groups and other internet websites including
http://www.educate-yourself.org
And has stalked and harassed the Plaintiff since the Plaintiff Stewart Webb acted as an informant against Timothy White after White tried to extort Plaintiff Stewart Webb and Iran Contra Whistleblower Al Martin
http://www.almartinraw.com
. Timothy White was arrested on Drug charges and was facing 5 years in Prison the Denver FBI Agent Mark Hostlaw recruited Tim White in behalf of Leonard Millman to Stalk and Harass the Plaintiff Stewart Webb, Al Martin and the Plaintiffs Witnesses, Radio Talk Show Hosts and others working hand in hand with Ted Gunderson, Ken Adachi, Pam Shufert, Jeff Fisher and many others unnamed herein. See: http://www.stewwebb.com/BushesNaziGoonsNews.html http://www.stewwebb.com/Grand Jury Demand Aug 4 2004.html http://www.stewwebb.com/Grand Jury Demand July 1 2003 .html
http://www.youtube.com/stewwebb1
k. Violations of Federal RICO laws and 18 U.S.C. 1981-1982 Civil Rights violations for Falsification of the National NCIC Computer information system used by law enforcement. Where the information on the Plaintiff Stewart A. Webb is falsified and perjured information reported in the National NCIC information base. l. Violations of Privacy Laws and Various Federal and State of Missouri Stalking Laws. Example the Plaintiff has hundreds of incidents of Stalking and attempts to crash the Plaintiff while driving some incidents are by the same who attempted to murder Plaintiff Stewart Webb on October 25, 2012 Driver Agakias Sital Missouri Vehicle License number SH6-C4P his passenger Evelyn Omondi has direct ties to Carol Davis Special Attorney Assistant Registerd to FBI SAC Ron Stern at United States Department of
Justice Houston, Texas
wparkspring@aol.com
281- 350 2943 281- 350 2943 FREE . Including a recent incident of stalking at the Plaintiffs residence on August 7, 2012 involving Missouri License number DH4-M3G a White Toyota with a White male in his 60s the Plaintiff call 911 Independence Missouri Police who responded to Plaintiffs resident 3 hours later by Sgt Lowe to inform Plaintiff Stewart Webb that the License number came up not registered. The Plaintiff has taken pictures and keep detailed License Plate Logs of the Stalkers some through research of Plaintiff have been found in the Parking Lot of Orion Investigations of Overland Park, Kansas at 95
th
and Nall. The Plaintiff was stalked in 1990 by the same Orion Investigation hired by Leonard Millman see evidence June 29, 1990 Independence, Missouri Police Report Number 90 14500-s stalkers Charles Stevens and Rodger Kelty of Orion Invesitgations. See: Police Report http://www.stewwebb.com/Millman Stalking Stew Webb June 1990.htm
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
September 5, 2012
RE: US Grand Jury Proceeding
Webb v. Millman, et al
. Cr. Div. Case No. 95Y107 active
http://www.stewwebb.com/Henry_Solano_Former_Denver_US_Attorney_O
bstructed_Justice_20120414.htm
LISTEN TO 1995 RECORDINGS BELOW OF US ATTORNEY HENRY SOLANO, Federal Whistleblower Stew Webb and Iran Contra Federal
Whistleblower Al Martin giving facts supporting Leonard Millman’s
Blackmail of the U.S. Congress and Senate Members.
http://www.almartinraw.com
Audio Player
http://www.stewwebb.com/Inside_The_Bush_Crime_Family_Part2_07
112011.htm
http://stewwebb.com/Gale Norton Obstruction Of Justice.html
Listen to 1995 Recordings of Denver FBI AGENT MARK HOSTLAW, Federal Whistleblower Stew Webb and NSA Contractor Whistleblower Peter Kawaja.
Audio Player
Stew Webb additional Grand Jury Witnesses FBI Operative Darlene Novenger and NSA CIA Operative Gene Chip Tatum both Murdered and their Audio Affidavits and Statements of Fact regarding Leonard Millman and George H.W. Bush Organized Crime Syndicate theft of 79,000 HUD repossessed Houses, Narcotics Money Laundering into Millmans MDC NYSE a public Traded Company run by Organized Crime Figure Larry Mizel of Denver, Colorado and Narcotics importation into th
e United States of America and Leonard Millman’s
money Laundering of the Narcotics money.
http://www.youtube.com/user/stewwebb1
http://www.stewwebb.com/Inside_The_Bush_Crime_Family_Part1_07
112011.htm
Hon. Senior Judge Richard P. Matsch Byron White Courthouse 1823 Stout Street Denver, CO 80294 (See below: Incorporated in this Motion) I, Stewart A. Webb have read the foregoing document and attest that it is true and correct to the best of my knowledge. Respectfully submitted, _____________________________, Stewart A. Webb
Federal Whistleblower 16508 A East Gudgell Independence, MO. 64055 816-478-3267 816-478-3267 FREE
stewwebb@stewwebb.com
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
SUBSCRIBED AND SWORN
to me this 5th day of September 2012. ________________________________________ Notary Public Expiration date:
CERTIFICATE OF SERVICE
[ K.S.A. 60-205 ]
The undersigned also hereby certifies that a true and correct copy of the foregoing document in the above-captioned matter was deposited in the United States mail, first-class postage prepaid, addressed to: U.S. Department of Justice Office of the Solicitor General 950 Pennsylvania Avenue, NW Washington, DC 20530-0001 U.S. Department of Justice Office of the Attorney General 950 Pennsylvania Avenue, NW Washington, DC 20530-0001
U.S. District Court for the District of Kansas 500 State Ave., 259 U.S. Courthouse Kansas City, Kansas 66101. Hon. Kathryn H. Vratil U.S. District Court for the District of Kansas 500 State Ave., 259 U.S. Courthouse Kansas City, Kansas 66101. Hon. Senior Judge Richard P. Matsch Byron White Courthouse 1823 Stout Street Denver, CO 80294 On this 5th day of September 2012. Respectfully submitted,
_____________________________,
Stewart A. Webb Federal Whistleblower
P.O. Box 13538, Overland Park, KS 66282.
federalwhistleblower@gmail.com
913-944-5189
Breaking News
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
(Enclosure)
Stewart Webb Federal Grand Jury Demand–Active Obstruction of Justice Occurring
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
Any links below that do not work copy and paste into your browser: Breaking News stewwebb.com
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/kerre_millman_attempted_murder_fugitive_0221
09.htm
http://www.stewwebb.com/Stew_Webb_vs_Kerre_Millman_Civil_RICO_Jul
y_31_1997_case_97_N_1498.htm
http://www.stewwebb.com/Stew_Webb_Grand_Jury_Demand_vs_George_
Bush_US_District_Court_95Y107_03202012.htm
http://www.stewwebb.com/Henry_Solano_Former_Denver_US_Attorney_O
bstructed_Justice_20120414.htm
http://www.stewwebb.com/stew_webb_grand_jury_demand_vs_bush_mill
man_clinton_etal_09142009.htm
http://www.stewwebb.com/stew_webb_vs_bush_millman_lindner_clinton_c
rime_syndicate_122009.htm
This Page is loaded with Pictures and Grand Jury Filings and attempted Murder of Plaintiff Stew Webb
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
Robert Gates orders Murders of Stew Webb and Tom Heneghan Using Israeli Mossad Hit Teams on US Soil
http://www.stewwebb.com/robert_gates_orders_murders_of_stew_webb_a
nd_tom_heneghan_02062010.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
http://www.stewwebb.com/affidavit_of_stew_webb_federal_whistleblower_
07012010.htm
http://www.stewwebb.com/Stew_Webb_vs_Kerre_Millman_Civil_RICO_Jul
y_31_1997_case_97_N_1498.htm
http://www.stewwebb.com/Amanda_Janusz_Where_is_The_Justice_Depar
tment_11162010.htm
http://www.stewwebb.com/Henry_Solano_Former_Denver_US_Attorney_O
bstructed_Justice_20120414.htm
http://www.stewwebb.com/stew_webb_grand_jury_demand_vs_bush_mill
man_clinton_etal_09142009.htm
http://www.stewwebb.com/Stew_Webb_vs_Kerre_Millman_Civil_RICO_Jul
y_31_1997_case_97_N_1498.htm
http://www.stewwebb.com/stew_webb_vs_bush_millman_lindner_clinton_c
rime_syndicate_122009.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/stew_webb_federal_whistleblower.htm
http://www.stewwebb.com/US_and_international_agents_montor_us_electi
ons.htm
http://www.stewwebb.com/Stew%20Webb%20Savings%20&%20Loan%20
Whistleblower%20faces%20federal%20charges.jpg
http://www.stewwebb.com/House%20of%20Rep%20HUD%20Stew%20We
bb.jpg
http://www.stewwebb.com/Stew Webb Looking In All THE Wrong Places.html
http://www.stewwebb.com/Stew_Webb_Grand_Jury_Demand_vs_George_
Bush_US_District_Court_95Y107_03202012.htm
http://www.stewwebb.com/Henry_Solano_Former_Denver_US_Attorney_O
bstructed_Justice_20120414.htm
http://www.stewwebb.com/stew_webb_grand_jury_demand_vs_bush_mill
man_clinton_etal_09142009.htm
http://www.stewwebb.com/Stew_Webb_vs_Kerre_Millman_Civil_RICO_Jul
y_31_1997_case_97_N_1498.htm
http://www.stewwebb.com/stew_webb_vs_bush_millman_lindner_clinton_c
rime_syndicate_122009.htm
http://www.stewwebb.com/bush_clinton_mizel_organized_crime_syndicate
_06172010.htm
http://www.stewwebb.com/Bush_Millman_Narco_Money_Frauds_911_111
72011.htm
http://www.stewwebb.com/Secret Document June 1986 SW FBI Report Millman.jpg http://www.stewwebb.com/House of Rep HUD Stew Webb.jpg http://www.stewwebb.com/Stew Webb Savings & Loan Whistleblower faces federal charges.jpg
http://www.stewwebb.com/OfficeofCriminalRoundUp.html
http://www.stewwebb.com/Grand Jury Demand Aug 4 2004.html
http://www.stewwebb.com/911_Bush_Clinton_Israel_Guilty_09162010.htm
http://www.stewwebb.com/911_WTC_Bush_Guilty_by_Stew_Webb_Whistl
eblower_12102010.htm
http://www.stewwebb.com/Larry_Mizel_Mortgage_Backed_Securities_Frau
ds_and_Bank_Bailout_Frauds_03122012.htm
http://www.stewwebb.com/Rupert_Murdoch_Larry_Mizel_Len_Millman_91
1_Espionage_Financing_07192011.htm
http://www.stewwebb.com/Rupert_Murdochs_911_Spy_ex_Justice_Dept_
Viet_Dinh_07232011.htm
http://www.stewwebb.com/Occupy_Larry_Mizel_Wall_Street_Bank_Dick_1
1072011.htm
http://www.stewwebb.com/may_6th_market_event_mdc_holdings_nyse_lar
ry_mizel_culprit_news_05182010.htm
http://www.stewwebb.com/Occupy_Larry_Mizel_Wall_Street_Bank_Dick_1
1072011.htm
http://www.stewwebb.com/Bush_Millman_Clinton_Lindner_Crime_Family_
Flow_Chart1.jpg
http://www.stewwebb.com/bush_clinton_mizel_organized_crime_syndicate
_06172010.htm
http://www.stewwebb.com/rush_for_gold_how_silverado_operated.htm
http://www.stewwebb.com/Running with a Bad Crowd.htm
http://www.stewwebb.com/Stew Time Magazine Checks.jpg
http://www.stewwebb.com/Washington-Webb1_JPG.htm
http://www.stewwebb.com/Stew Webb Conspiracy theorist is he a crackpot or well connected.jpg http://www.stewwebb.com/House of Rep HUD Stew Webb.jpg
http://www.stewwebb.com/Stew-BIO.html
http://www.stewwebb.com/inside_the_bush_crime family_part1.htm
http://www.stewwebb.com/inside_the_bush_crime_family_part2.htm
http://www.stewwebb.com/WANTED_FOR_TREASON_AND_SEDITION_1
2072010.htm
http://www.stewwebb.com/WANTED_FOR_TREASON_AND_SEDITION_0
6252011.htm
http://www.stewwebb.com/GOP_using_Echelon_software_to_spy_on_Ame
ricans_Nsa_bribing_media.htm
http://www.stewwebb.com/America_Daddy_Bushs_Piggy_Bank_07222011
.htm
http://www.stewwebb.com/bush_narcotics_money_laundry_funds_obama_
mccain.htm
http://www.stewwebb.com/Wall_Street_how_Larry_Mizel_MDC_NYSE_Do
es_a_Deal_07182011.htm
http://www.stewwebb.com/JOHN_MCCAINS_WIFE_HIDING_WAR_PROFI
TS_UNTAXED_OFF_SHORE_ACCOUNTS.htm
http://www.stewwebb.com/Denver_Airport_Secret_Underground_by_Stew_
Webb_11172010.htm
http://www.stewwebb.com/GOP_using_Echelon_software_to_spy_on_Ame
ricans_Nsa_bribing_media.htm
http://www.stewwebb.com/obama_bush_heath_care_frauds_continue_2_d
ead_us_attorneys_12272009.htm
http://www.stewwebb.com/two_dead_u_s_attorneys_john_ashcroft_gets_p
aid_off.htm
http://www.stewwebb.com/senate_ignored_5_texas_us_attorney_death_an
d_firings.htm
http://www.stewwebb.com/texas_us_attorney_deaths_raise_foul_play_que
stions.htm
http://www.stewwebb.com/dead_%20fired_attorneys_linked_to_white_hous
e.htm
http://www.stewwebb.com/weldons_paris_trips_tied_to_cover-
up_of_911.htm
http://www.defraudingamerica.com
(Stew Webb Contributor)
http://www.almartinraw.com
Iran Contra Whistleblower (Stew Webb’s ex
in law Leonard Millman named in Frauds)
http://www.stewwebb.com/Len_Millman_The_Conspirators_by_Al_Martin.h
tm
http://www.stewwebb.com/Stew_Webb_vs_Kerre_Millman_Civil_RICO_Jul
y_31_1997_case_97_N_1498.htm
http://www.stewwebb.com/kerre_millman_aka_kerre_smith_fugitive_from_j
ustice_05162010.htm
http://www.stewwebb.com/Amanda_Janusz_Where_is_The_Justice_Depar
tment_11162010.htm
http://www.stewwebb.com/how_corrupt_is_missouri_and_kansas_courts.ht
m
http://www.stewwebb.com/Bush_Whacked_Again_Stew_Webb_Federal_W
histleblower_01102011.htm
http://www.stewwebb.com/Obama_Killing_Americans_Unite_the_Governor
s_Revolution_11302010.htm
http://www.stewwebb.com/obamas_crystal_nacht_american_people_under
_attack_09262010.htm
http://www.stewwebb.com/may_6th_market_event_mdc_holdings_nyse_lar
ry_mizel_culprit_news_05182010.htm
http://www.stewwebb.com/dhs_attempted_murder_of_whistleblower_stew_
webb_06092010.htm
http://www.stewwebb.com/DHS_Assassination_attempt_on_Stew_Webb_P
hotos_12052010.htm
http://www.stewwebb.com/Bush_Whacked_Again_Stew_Webb_Federal_W
histleblower_01102011.htm
http://www.stewwebb.com/honorable_ron_paul_united_states_congress_0
3242010.htm
http://www.stewwebb.com/honorable_jan_schakowsky_03242010.htm
http://www.stewwebb.com/bush_narcotics_money_laundry_funds_obama_
mccain.htm
http://www.stewwebb.com/Junk Bond Daisy Chain Fraud by Stew Webb.html http://www.stewwebb.com/Stew IRS Application for Reward MDC Holdings Inc.jpg http://www.stewwebb.com/Grand Jury 95 Y 107 Page 1.jpg http://www.stewwebb.com/Grand Jury Demand July 1 2003 .html http://www.stewwebb.com/Grand Jury Demand Aug 4 2004.html
http://www.stewwebb.com/bush_narcotics_money_laundry_funds_obama_
mccain.htm
http://www.stewwebb.com/crooks.html
http://www.stewwebb.com/AmandaMillman.html
http://www.stewwebb.com/ArchivesA-C.html#aam
http://www.stewwebb.com/ArchivesC-K.html#aaq
http://www.stewwebb.com/How_the_Westlands_Was_Won_a_two_part_se
ries_20120510.htm
http://www.stewwebb.com/brownstein_hyatt_farber_schreck_.htm
http://www.stewwebb.com/Global Crossing Norman Brownstein.html
http://www.stewwebb.com/Global Crossing battles accounting
controversy.html
http://www.stewwebb.com/Global Crossing Sold To China Co.html
http://www.stewwebb.com/norman_brownstein_campaign_contributions.ht
m
http://www.stewwebb.com/From Cradle to Cabal The Secret Life of Gale Norton.html
http://www.stewwebb.com/FRAUDS ARE US AT MDC.html
Pedophile George “Daddy” Bush Congressional Child Sex Crimes
http://www.stewwebb.com/Brownstone.gif
http://www.stewwebb.com/bush_satanic_rituals_and_human_sacrifices_01
172010.htm
http://www.stewwebb.com/foley_gannon_abramoff_rove_sex_espionage_o
peration.htm
http://www.stewwebb.com/Abramoff_sex_spy_ring.htm
http://www.stewwebb.com/dc_hilton_ritz_carlton_used_for_congressional_
child_sex.htm
http://www.stewwebb.com/DynCorp%20Disgrace.html
http://www.stewwebb.com/ArchivesA-C.html#aaar
http://www.stewwebb.com/Finders%20Through%20a%20glass%20very%2
0darkly.jpg
http://www.stewwebb.com/Finders%201%20of%202.jpg
http://www.stewwebb.com/Finders%201%20of%203.jpg
http://www.stewwebb.com/Finders%201%20of%205.jpg
http://www.stewwebb.com/Finders%202%20of%202.jpg
http://www.stewwebb.com/Finders%202%20of%202.jpg
http://www.stewwebb.com/Finders%202%20of%205.jpg
http://www.stewwebb.com/Finders%203%20of%203.jpg
http://www.stewwebb.com/Finders%203%20of%205.jpg
http://www.stewwebb.com/Finders%204%20of%205.jpg
http://www.stewwebb.com/Finders%205%20of%205.jpg
Tom Heneghan and Stew Webb 2004 Presidential Platforms
http://www.stewwebb.com/HeneghanWebb2004OfficialPresidentialPlatform
.html
http://www.stewwebb.com/HeneghanWebb2004%20Platform%20Long%20
Version.html
http://www.stewwebb.com/HeneghanWebbPlatformOutline.html
Hon. Senior Judge Richard P. Matsch Byron White Courthouse 1823 Stout Street Denver, CO 80294 September 14, 2009
RE: US Grand Jury Proceeding
Webb v. Millman, et al
. Cr. Div. Case No. 95Y107
Dear Judge Matsch,
I have studied the current USDOJ Grand Jury Manual and made arrangements for numerous present and former government officials who are witnesses to the continuing Leonard Millman Criminal Enterprise misconduct described in my request for a Grand Jury to voluntarily testify at their own expense. The continuing nature of the federal criminal violations and recent actions by the defendants ensure the indictable offenses would be within the statutes of limitations. I anticipate having a detailed memorandum completed by September 22nd summarizing the companies, individuals, industries, frauds and transactions currently provable by testimony and documentary evidence showing the conduct continued within the limitations period of RICO (18 U.S.C. § 1961). Please find the enclosed chambers copy of the Motion to Transfer Grand Jury Situs in the above captioned case. Sincerely, ___________________ Stewart Anthony Webb Prosecuting Witness 28 Years Federal Whistleblower 16508 A East Gudgell Independence, MO. 64055 816-478-3267 816-478-3267 FREE
stewwebb@stewwebb.com
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
____________________________________________________
IN THE UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF COLORADO
STEWART A. WEBB, ) And in behalf of ) AMANDA MELIA WEBB (Amanda Millman) ) Plaintiff’s Daughter, ) And in behalf of ) THE PEOPLE OF THE UNITED STATES ) OF AMERICA ) And THE UNITED STATES OF AMERICA ) ) Plaintiffs, )
CRIMINAL DIVISION
) CASE Number: 95-Y-107 vs. ) ) KERRE SUE MILLMAN,
et al.
) ) Defendants )
MOTION FOR TRANSFER OF GRAND JURY SITUS
COMES NOW
on this 4th day of September 2012, the prosecuting witness Stewart A. Webb makes the following motion to transfer the situs of the Grand Jury to the Robert Dole US Court House in Kansas City, Kansas where: 1. The US Court of Appeals for the Tenth Circuit courtroom in the Robert Dole Courthouse in Kansas City, Kansas is convenient to witnesses the prosecuting witness Stewart A. Webb plans to call for the purpose of presenting eye-witness testimony and documentary evidence in support of bringing to justice the perpetrators of the ongoing criminal scheme
identified in the prosecuting witness Stewart A. Webb’s request for a grand
jury. 2. The Robert Dole Courthouse in Kansas City, Kansas is a situs and facility that is suitable for usage by the Jury. 3. The Kansas District Court is convenient to newly discovered witnesses to the ongoing Millman Syndicate securitization of fraudulent mortgages including witnesses to the affairs of the Kansas farmer Loring Nelson in Saline and Lincoln Counties of the State of Kansas that led to banks in Bennington and Tescott Kansas associated with what is now Alliance Bank in Topeka, Kansas participating in the securitization of fraudulent non performing mortgages that resulted in the collapse of the Bush-Millman-Mizel Family savings and loan Silverado and that also precipitated the criminal conduct and extra judicial influence resulting in Obstruction of Justice in the United States Judicial Branch and Extortion of members of
both houses of the US Congress described in the prosecuting witness’s Stewart A. Webb’s request for a grand jury and continues now in what
recently has been described as racketeering schemes attributed in the popular press to Bernard L. Madoff , Sir Allen Stanford and A.I.G. 4. At the beginning of the time period covered by the Grand Jury request a Salina, Kansas Credit Union was found to have been participating in frauds against the interest of the US Treasury through a scheme with Silverado to rec-ollateralize nonperforming and fraudulent debt obligations and to exchange them with a Minnesota bank which would then launder the securities through a Manhattan, Kansas bank. 5. The Kansas District Court is also convenient to newly discovered witnesses to the ongoing Millman Syndicate securitization of fraudulent mortgages including witnesses to the affairs of the Kansas farmer Dwayne
Melius and a landing strip at a Kansas hog farm being regularly used to import illegal narcotics as bribery funds to corrupt Kansas state officials and to frauds against the US Treasury in the systematic foreclosure of federal government guaranteed farm mortgages mandated by the Millman
Syndicate’s practice o
f securing two and three parallel fraudulent
mortgages guaranteed by the federal government on the same farmer’s
property. 6. The Kansas District Court is also convenient to later discovered
witnesses to the ongoing Millman Syndicate’s bribery and extorti
on of public officials including the prospective prosecuting witness Stewart Webb who has information and documentation on how the Millman Syndicate bribed and extorted public officials and unlawfully removed property and funds from Enron through previously concealed fraud that injured government employees and caused the loss of retirement funds invested in the corporation that can still be identified and recovered. 7. The Kansas District Court is also convenient to newly discovered evidence of Mortgage Securities Frauds by Leonard Millman and Larry Mizel of MDC NYSE a public traded company and their subsidiaries Asset Investors and other entities they created to sell Mortgages on houses that were never built and duplicated Mortgages on house that were sold in bundles as Securities that has lead to the the illegal TARP, Bank Bail Outs which has lead to the Worldwide Economic meltdown which is Economic Plunder under U.S. Laws which is the Death Penalty a very serious crime. See: SEC Securities Exchange Commission Whistleblower Filings by Plaintiff Stewart A. Webb.
http://www.stewwebb.com/Larry_Mizel_Mortgage_Backed_Securities_Frau
ds_and_Bank_Bailout_Frauds_03122012.htm
8. The Kansas District Court is also convenient to newly discovered evidence of attempted murder of Plaintiff Stewart Webb During the time Plaintiff Stewart Webb had a previous court case filing in which the Plaintiff was never given a hearing before U.S. District Court Judge Kathryn H. Vratil and the case was put under seal and assigned to District Judge J. Thomas Marten and Magistrate Judge David J. Waxse who reassigned the Plaintiffs case reassigned to Chief Judge Fernando J. Gaitan, Jr. for all further proceedings. Signed by District Judge J. Thomas Marten on 12/2/09. ORDER REASSIGNING CASE. U.S. District Court Judge Fernando J. Gaitan Jr. is the Chief Judge of the 8
th
District The Western District of Missouri Kansas City, Missouri not even in the 10
th
District Kansas City, Kansas were the Plaintiff filed his PETITION FOR INJUNCTIVE RELIEF AGAINST THE HON. KATHRYN H. VRATIL, AND THE U.S. DISTRICT COURT OF THE STATE OF KANSAS, et al. Plaintiff was never given a hearing before U.S. District Court Judge Fernando J. Gaitan Jr. who dismissed the Plaintiffs case stating ORDER denying Motion for Leave to Proceed in forma pauperis Signed by Chief Judge Fernando J. Gaitan, Jr on 12/14/09.
http://www.stewwebb.com/civil_docket_stew_webb_vs_case_sealed_1208
2009_case_209_cv_02603_fjg.pdf
http://www.stewwebb.com/Stew_Webb_vs_JUDGE_
KATHRYN_VRATIL_case_0209CV02603FJG_DJW_CivilDocket_12172009.pdf
IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF KANSAS
Case Number:
09-CV-2603 JTM/DJW and Case Number: 02-09-CV-02603-FJG DJW
Filed November 24, 2009
PETITION FOR INJUNCTIVE RELIEF AGAINST THE HON. KATHRYN H. VRATIL, AND THE U.S. DISTRICT COURT OF THE STATE OF KANSAS, et al.
http://sites.google.com/site/stewwebbvjudgevratil/
http://www.stewwebb.com/webb_petition_112409.htm
http://www.stewwebb.com/AFFIDAVIT_IN_SUPPORT_OF_STEWART_W
EBB_11242009.htm
http://www.stewwebb.com/civil_docket_stew_webb_vs_case_sealed_1208
2009_case_209_cv_02603_fjg.pdf
http://www.stewwebb.com/stew_webb_grand_jury_demand_vs_bush_mill
man_clinton_etal_09142009.htm
http://www.stewwebb.com/stew_webb_vs_bush_millman_lindner_clinton_c
rime_syndicate_122009.htm
http://www.stewwebb.com/barack_obama_were_is_justice_for_bush_and_
clinton.htm
On or about January 28-30, 2010 The Plaintiff was shot with Lazers from a Blackwater XZ helicopter with 4 Israeli Mossad Agents aboard for several days in an attempt to Kill Plaintiff Stewart A. Webb. The Plaintiff contact element inside U.S. Defense which the Plaintiff has acted as an informant-Whistleblower to the unnamed persons. The Helicopters after trying to kill Plaintiff Stewart Webb was destroyed by a NATO Fighter Jet in midair over Hwy 6 east of Hastings, Nebraska where the Plaintiff was in hiding to stay alive. DHS Department of Homeland Security ruled the incident as Mechanical Failure.
http://www.stewwebb.com/robert_gates_orders_murders_of_stew_webb
_and_tom_heneghan_02062010.htm
In our next intelligence briefing we will have a report on a recent event involving a helicopter in Hastings, Nebraska that may be a precursor to an actual civil war developing in the U.S. Military.
http://www.stewwebb.com/united_states_end_game_us_supreme_court
_discredited_01312010.htm
http://www.stewwebb.com/dhs_attempted_murder_of_whistleblow
er_stew_webb_06092010.htm
Letters to U.S. Congressman Ron Paul and U.S. Congresswoman Jan Schakowsky who heads the Committee who was investigating
BlackwaterXZ a Private U.S. Military Contractor who has been involved in all sorts of illegal activities
And who recently was fined for such activities.
These Letter were sent under 18 U.S.C. 4 The Federal Reporting Crimes Act.
http://www.stewwebb.com/honorable_ron_paul_united_states_con
gress_03242010.htm
http://www.stewwebb.com/honorable_jan_schakowsky_03242010.h
tm
9. The Kansas District Court is also convenient to newly discovered evidence of attempted murder of Plaintiff Stewart Webb involving 3 separate Car Crashes as evidence here:
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
First Car Crash and rollover on October 25, 2010 driver who struck
Plaintiff Stewart Webb’ Van was intentional, the attempted murder of
Plaintiff was done by Driver Agakias Sital Missouri Vehicle License number SH6-C4P his passenger Evelyn Omondi has direct ties to Carol Davis Special Attorney Assistant Registerd to FBI SAC Ron Stern at United States Department of Justice Houston, Texas
wparkspring@aol.com
281- 350 2943 281- 350 2943 FREE .
http://www.facebook.com/pages/Office-of-the-
President/111033792266818#!/profile.php?id=1440175156
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
After Plaintiff laid in Intensive care for 2 days at Research Medical Center with Hospital Bills of nearly $100,000.00 incurred the Plaintiff Stewart Webb contacted the Grandview Police to make his report and statement of the particulars of the attempted murder car crash. The Grandview Police keep referring the Plaintiff to the Police Records division were the Plaintiff was told for over 2 weeks that a report was not generated yet and someone would get back with Plaintiff. The Plaintiff after numerous attempts in the 2 week period of contacting the Grandview Police was finally referred to a Sgt. Pruett who never
took a report from Plaintiff Stewart Webb but yet Sgt. Pruett filed an additional supplemental report in which additional perjury was committed by Sgt. Pruett and other unnamed Grandview, Missouri Police Department Employees. The Plaintiff has copies of his telephone records showing numerous telephone calls to the Grandview, Missouri Police Department to make an accident report as a driver involved in the attempted Murder of Plaintiff Stewart A. Webb yet the supplemental Police report filed and signed by Sgt. Pruett is perjured and the Plaintiff Stewart Webb Phone Records prove this lie. The Police report does not have the investigating Officers named and the so called witness on the report was a logged License number White Ford Van stalking the Plaintiff with the above named Agakias Sital Missouri Vehicle License number SH6-C4P his passenger Evelyn Omondi on numerous times weeks prior to this attempted murder of Plaintiff and the cover-up by Grandview Missouri, Police. The Plaintiff has witness unnamed herein who saw the so called accident. The Plaintiff Stewart A. Webb has U.S. Intel agents who will testify under oath in Grand Jury that they were told they would die in two days if they intervened in behalf of Plaintiff Stewart A. Webb that this was a U.S. Government Murder Attempt on Plaintiff Stewart A. Webb. Grandview Police report #10-5206 October 25, 2012 Attempted murder of Plaintiff
http://www.stewwebb.com/Grandview_Missouri_Police_Cover_up_att
empted_Murder_11122010.htm
http://www.stewwebb.com/DHS_Assassination_attempt_on_Stew_We
bb_Photos_12052010.htm
The Plaintiff Stewart Webb had to obtain a copy of the falsified accident report from his own insurance company Progressive As evidenced herein.
http://www.stewwebb.com/Grandview_Missouri_Police_Report_10520
6_10252010.htm
http://www.stewwebb.com/Stew_Webb_Drawing_of_Accident_Attempted_Murder_10252010.htm
http://www.stewweb.com/accident10252010/Grandview_Missouri_Police_R
eport_105206_10252010.htm
The Plaintiff Stewart A. Webb has had Missouri two attorney threatened by telephone for agreeing to represent the Plaintiff Stewart A. Webb in the above stated attempted murder of Plaintiff. 9. The Kansas District Court is also convenient to newly discovered evidence of the driver Respectfully submitted, S/Stewart Anthony Webb Stewart Anthony Webb Prosecuting Witness Federal Whistleblower 16508 A East Gudgell Independence, MO. 64055 816-478-3267 816-478-3267 FREE
stewwebb@stewwebb.com
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
CERTIFICATE OF SERVICE
I have on this 5th day of September 2012 deposited in the US Mail postage paid a paper chambers copy of this motion to the following:
Hon. Senior Judge Richard P. Matsch Byron White Courthouse 1823 Stout Street Denver, CO 80294 S/Stewart Anthony Webb Stewart Anthony Webb Prosecuting Witness Federal Whistleblower ______________________________________________________
Mr. Timothy M. O’Brien
Clerk Of Court Robert J. Dole Courthouse 500 State Ave. 259 U.S. Courthouse Kansas City, Kansas 66101 ksd_clerks_kansascity@ksd.uscourts.gov September 5, 2012
RE: US Grand Jury Proceeding
Webb v. Millman, et al
. Cr. Div. Case No. 95Y107
Dear Mr. O’Brien,
I am writing to inform you that I am seeking to change a Grand Jury situs from the US District Court for the District of Colorado to the Kansas District Court building at 500 State Avenue. This request is being made of Senior Colorado District Judge, Hon. Richard P. Matsch I understand the Robert J. Dole Courthouse has a US Court of Appeals for the Tenth Circuit courtroom, which would facilitate the presentation of witnesses and evidence in the above captioned matter. I am planning to finish preparing the initial evidence by September 22
nd
and I anticipate that a little over three weeks will be required. I understand that some days might be blocked out as your courtroom is used for Tenth
Circuit and Kansas State Appeals functions and I believe we will be able to accommodate the interruptions. Please let me know of any changes in the courtrooms schedule or demands of your staff handling jury matters and I will attempt to adjust my plans accordingly. I will keep you informed so that you might know at the earliest moment when to empanel prospective grand jurors. Sincerely, S/Stewart Anthony Webb Stewart Anthony Webb Prosecuting Witness Federal Whistleblower 16508 A East Gudgell Independence, MO. 64055 816-478-3267 816-478-3267 FREE
stewwebb@stewwebb.com
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
_________________________________________________
Appendix D
UNITED STATES DISTRICT COURT
DISTRICT OF COLORADO
FACSIMILE COVER SHEET
Pursuant to D.C.COLO.LCivR 5.1, this cover sheet must be submitted with any facsimile filing. A pleading or paper not requiring a filing fee and
no longer than ten pages
, including all attachments, may be filed with the
clerk by means of facsimile during a business day. Facsimiles received by the clerk 5:00 p.m. (Mountain Time) will be considered filed as of the next business day.
Clerk’s Office facsimile telephone number:
303-335-2714 303-335-2714 FREE and by email:_____________________ 1. Date of transmission: ________September 5, 2012_________________________________ 2. Name of attorney or
pro se
party making the transmission:__Stewart A. Webb_____ Facsimile number: ___________________ Telephone number: 816-478-3267 816-478-3267 FREE ____ 3. Case number, caption, and title of pleading or paper
Cr. Div. Case No. 95Y107
_____
US Grand Jury Proceeding
Webb v. Leonard Millman, et al
.
MOTION FOR TRANSFER OF GRAND JURY SITUS _______________________ 4. Number of pages being transmitted, including the facsimile cover sheet: ______5
________ Instructions, if any: ____________________________________________________________ _ (Rev. (12/08) Clerk’s Office Alfred A. Arraj United States Courthouse, Room A105 901 19th Street Denver, Colorado 80294-3589
September 14, 2009
RE: US Grand Jury Proceeding
Webb v. Millman, et al
. Cr. Div. Case No. 95Y107
Dear Clerk of the Court, Please find the enclosed Motion to Transfer Grand Jury Situs in the above captioned case. I have also included your required fax cover sheet form. Sincerely, S/Stewart Anthony Webb Stewart Anthony Webb Prosecuting Witness 16508 A East Gudgel Independence, Missouri 64055 Email
stewwebb@stewwebb.com
Phone 816-478-3267
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
Clerk’s Office Alfred A. Arraj United States Courthouse, Room A105 901 19th Street Denver, Colorado 80294-3589 September 4, 2012
RE: US Grand Jury Proceeding Stewart
Webb v. Leonard Millman, et al
. Cr. Div. Case No. 95Y107
Dear Clerk of the Court, Please find the enclosed Motion to Transfer Grand Jury Situs in the above captioned case. I have also included your required fax cover sheet form. Sincerely, S/Stewart Anthony Webb Stewart Anthony Webb Prosecuting Witness 16508 A East Gudgel Independence, Missouri 64055 Email
stewwebb@stewwebb.com
Phone 816-478-3267 816-478-3267 FREE
http://www.stewwebb.com/breaking_news.htm
http://www.stewwebb.com/ADDITIONAL_BREAKING_NEWS_2012.htm
http://www.stewwebb.com/table_of_contents_site_map.html
Stew Webb Videos and Recent Interviews
http://www.youtube.com/user/stewwebb1
Previous Grand Jury Filings Obstruction of Justice by Justice Department Officials, Judges and Denver U.S. Attorneys http://www.stewwebb.com/Stew_Webb_Grand_Jury_Demand_vs_George_Bush_US_District_Court_95Y107_03202012.htm http://www.stewwebb.com
/
Grand Jury Demand Aug 4 2004.html
/
95Y107-Pg1_JPG.htm
/
95Y107-Payment.JPG
/
95Y107-Pg2_JPG.htm
/
95Y107-Pg3_JPG.htm
/
95Y107-Pg4_JPG.htm
/
95Y107-Pg5_JPG.htm
/
95Y107-Pg6_JPG.htm
/
Grand Jury Motion To Present Sept_ 18,
2001 part 1 of 2.html
/
Grand Jury Motion To Present Sept_ 18,
2001 part 1 of 2.html
/
Grand Jury Demand July 1 2003 .html
/
Grand Jury District Court July 6th
stamp.jpg
/
Grand Jury Demand Aug 4 2004.html
/
Stew-BIO.html
/
Bush_Millman_Clinton_Lindner_Crime_Fa
mily_Flow_Chart1.
html http://www.stewwebb.com
/
Letter_to_Amanda_Millman_Jan_2004.
html http://www.stewwebb.com
/
AmandaMillman.
html Crimes against America
/
Secret Document June 1986 SW FBI Report
Millman.jpg
/
House of Rep HUD Stew Webb.jpg
/
Hud Phil Winn Guilty.jpg
/
Stew IRS Application for Reward MDC
Holdings Inc.jpg
/
Stew-IRS Len Millman Trusts.jpg
/
rush_for_gold_how_silverado_operated.ht
m
/
silverado_neil_bush_by_steve_wilmsen.jp
g
/
Money Laundering B.C.C.I. The Dirtiest
Bank of All.html
/
S&L-Bank Frauds Neil Bush Silverado
Rush for Gold.html
/
Stew Webb Looking In All THE Wrong
Places.html
/
Stew Time Magazine Checks.jpg
/
Washington-Webb1_JPG.htm
/
Stew-FBI-Florida1.JPG
/
Stew-FBI-Florida2.JPG
/
Stew-FBI-Florida3.JPG
Charges dismissed after being held as an American Political Prisoner for 10 1/2 months because I was classified as a National Security Threat for Exposing my ex in law Leonard Millman and his partner George H. W. Bush theft from the United States Treasury
/
savings_and_loan_whistleblower_faces_federal
_charges_091692.gif
/
Secret Documents Order of Dismissal Aug 93 92
CR 356.jpg
/
Stew Webb Psychological Evaluation Mentally
Competent May 1993.jpg
/
Stew Webb TomValentine Letter to US Court.jpg
/
Stew Webb exposing Government
Corruption.jpg
/
Stew Webb Founder GOAL.jpg
/
95Y107-Pg1_JPG.htm
/
95Y107-Payment.JPG
/
Grand Jury Demand July 1 2003 .html
/
Grand Jury Demand Aug 4 2004.
html http://www.stewwebb.com
/
M&L Business Machines USAttorney Mike
Norton Partial Bribe.htm
/
Stew IRS Application on Mike Norton US
Attorney.jpg
Inside The Bush Crime Family Part1.
html http://www.stewwebb.com
Inside The Bush Crime Family Part2.
Gale Norton Obstruction Of Justice
http://www.stewwebb.com/FRAUDS ARE US AT MDC.html
http://www.stewwebb.com/OfficeofCriminalRoundUp.html
http://www.stewwebb.com/bush_narcotics_money_laundry_funds_obama_mccain.html
http://www.stewwebb.com/sub_prime_bailout_us_treasury_theft.htm
http://www.stewwebb.com/bank_bail_out_crooks_enemies_of_america.htm
Kerre Millman Denver’s Illuminati Princess Manipulator Liar Attempted Murderer
Your kind and generous contributions are much appreciated and needed please click the link below thank you Stew Webb.
https://www.paypal.com/paypalme/SWebb822
https://www.paypal.me/SWebb822
Stew Webb
913-944-5189
federalwhistleblower@gmail.com
Stew W913-944-5189
PO Box 13538
Overland Park, KS 66282