UNITED STATES DISTRICT COURT
FOR THE DISTRICT OF MINNESOTA
THIRD DIVISION


  UNITED STATES OF AMERICA,

                        Plaintiff,

     vs.                                          CRIMINAL FILE NO. CR-4-89-82

   JOHN GREGORY LAMBROS,                          RE-SENTENCING OF LAMBROS

                         Defendant.


MOTION TO HAVE COURT ORDER U.S. ASSISTANT ATTORNEY
DOUGLAS RAY PETERSON TO ORDER
POLYGRAPH TESTING
AND QUESTIONING OF U.S. DEPARTMENT OF STATE PAST
AND PRESENT EMPLOYEES
AND U.S. DEPARTMENT OF JUSTICE
PAST AND PRESENT EMPLOYEES AND CONTRACT AGENTS
WHO ARE RESPONSIBLE IN HAVING JOHN GREGORY LAMBROS PLACED
IN THE KNOWN BRAIN AND BODY IMPLANTATION AND TORTURE
INTERROGATION FEDERAL POLICE STATION IN BRASILIA,
BRAZIL THAT HAD A "DEPATTERNING CELL(S)/ROOMS" WITHIN IT
DURING 1991 THRU 1992 THAT WERE BUILT BY U.S. ARMY
CORPS OF ENGINEERS IN THE LATE 1960's, AS SWORN TO
BY PAST U.S. ARMY RANGERS INTELLIGENCE OFFICER PURVIS
CARTWRIGHT, BUREAU OF PRISONS INMATE NUMBER
59478-079 WHO TRAINED BRAZILIANS IN THE USE OF
IMPLANTATION AND TORTURE AT THE ABOVE-STATED POLICE STATION


Defendant Lambros is requesting this Court to ORDER U.S. Assistant Attorney Douglas Ray Peterson to perform his duties under BRADY V. MARYLAND, 373 U.S. 83 (1963), as the Supreme Court held that the Government is REQUIRED to disclose evidence favorable to an accused upon request where the evidence is material to guilt or punishment, id. at 87. In BRADY, the prosecutor failed to disclose a confession obtained from one of the defendant's accomplices after the defendant requested such a statement. Id. at 84. Subsequent Supreme Court cases have established that the government's DUTY UNDER BRADY arises whether or not the defendant specifically requests the favorable evidence. U.S. vs. AGURS, 427 U.S. 97, 107 (1976). Although the government's DUTY to disclose continues THROUGHOUT THE PROCEEDINGS, MOONEY vs. HOLOHAN, 294 U.S. 103, 108 (1935)(due process violated when prosecutor learned during trial that witness committed perjury but failed to inform defense counsel) and THOMAS vs. GOLDSMITH, 979 F.2d 746, 749-50 (9th Cir. 1992) (due process violated when prosecution withheld exculpatory semen sample acquired during trial even though defense never made a specific request or argued its existance in lower court) with U.S. vs. JADUSINGH, 12 F.3d 1162, 1166 (lst Cir. 1994) (government FULFILLED CONTINUED OBLIGATION BY REVEALING NEWLY ACQUIRED INFORMATION concerning witness's conviction record on day learned and fully questioned witness regarding record on direct examination).

BRADY also requires the government, PETERSON, to disclose information that COULD BE USED TO IMPEACH GOVERNMENT WITNESSES GIGLIO vs. U.S., 405 U.S. 150, 154 (1972) (governments failure to disclose information during trial THAT WAS DISCOVERED AFTER TRIAL).

Circuit Courts have found due process violations when the government FAILS TO DISCLOSE other impeachment evidence, BALLINGER vs. KERBY, 3 F.3d 1371, 1376 (lOth Cir. 1993) (due process violated by failure to produce possible impeaching PHOTOS OF CRIME SCENE WHICH WOULD HAVE BUTTRESSED DEFENSE that witness could not have been out of window in order to identify defendant). PETERSON DID NOT DISCLOSE PICTURES OF THE "DEPATTERNING CELL(s)/ROOMS" that were made available to him which proves that Lambros was depatterned and used with implantation as this is the only purpose of such a cell/room. Rememer, the Federal Police Station in Brasilia, Brazil is a U.S. Department of Justice and State contract facility and was constructed by the U.S. Army Corps of Engineers in the late 1960's. Lambros has supplied PETERSON with affidavits as to same by individuals that participated in conversations with PURVIS CARTWRIGHT, BUREAU OF PRISONS NO. 59478-079, past U.S. Army Rangers Intelligence Officer who taught the Brazilians how to use the "DEPATTERNING CELL/ROOM" and how to torture and insert implants into humans. TO DATE PETERSON HAS REFUSED TO INTERVIEW CARTWRIGHT WHO IS CURRENTLY INCARCERATED AT THE BUREAU OF PRISONS FACILITY AT FLORENCE, COLORADO. LAMBROS HAS EVEN REQUESTED FBI SPECIAL AGENT STEPHEN A. GILKERSON, MINNEAPOLIS OFFICE, VIA U.S. CERTIFIED MAIL TO INTERVIEW CARTWRIGHT ON JANUARY 8, 1996 and FEBRUARY 3, 1996 and TO NOTIFY PETERSON. FBI GILKERSON REFUSED TO INTERVIEW CARTWRIGHT AND ASSIST IN STOPPING MY DAILY TORTURE. Attorney Ceisel spoke with CARTWRIGHT AND SHE WILL NOT GET AN INVESTIGATOR TO INTERVIEW CARTWRIGHT. WHY?

Even where PETERSON DOES NOT POSSESS BRADY material, he has the duty to LEARN OF ANY FAVORABLE EVIDENCE KNOWN TO OTHER GOVERNMENT AGENTS, INCLUDING THE POLICE, KYLES, 115 S. Ct. at 1567. Compare U.S. vs. WOODS, 57 F.3d 733, 737 (9th Cir. 1995)(BRADY violation in failure to disclose exculpatory material contained in FDA reports where agency charged with administering statue at issue and CONSULTED WITH PROSECUTOR (the State Department consulted with Peterson) in steps leading to prosecution) and U.S. vs. SPAGNOULO, 960 F.2d 990, 994 (llth Cir. 1992) (Brady violation in failure to disclose exculpatory evidence possessed by prosecutor or ANYONE OVER WHOM PROSECUTOR HAS AUTHORITY. I believe Peterson has authority to interview under the governments statutory disclosure duties under the constitutional duty to disclose exculpatory information Rules 16, 26.2, and 12.1 of the Federal Rules of Criminal Procedure which REQUIRES PETERSON AND BRAZIL TO DISCLOSE OTHER INFORMATION UPON LAMBROS' REQUEST.


SUPPLEMENTAL NEWLY DISCOVERED INFORMATION FOR A WRIT
OF CERTIORARI TO THE UNITED STATES COURT OF APPEALS
FOR THE EIGHTH CIRCUIT THAT WAS SUBMITTED ON
MARCH 6, 1996


The above Writ of Certiorari was submitted by Lambros on March 6, 1996, with the CERTIFICATE OF SERVICE stating U.S. ASSISTANT ATTORNEY DOUGLAS RAY PETERSON and Attorney Ceisel being SERVED copy on March 6, 1996. (The date the Writ was mailed from USP Leavenworth) Peterson lied to Attorney Ceisel and has not informed Lambros that Lambros' Writ of Certiorari WAS DENIED ON JANUARY 16, 1996.

The above-entitled BRIEF clearly proves PETERSON did not investigate or withheld facts as to my incarceration with FRANCESCO TOSCANINO at the Federal Police Station in Brasilia, Brazil during Lambros' torture, implantation, extortion and forced interrogation in 1991.

In U.S. vs. LAMBROS, 65 F.3d 698, 701, the Eighth Circuit stated in their opinion/judgement:

that [Lambros'] testimony which claims that he had been tortured was unreliable because defendant [Lambros] perjured himself in other regards at trial and because testimony was fantastic. (For instance, Lambros maintains that he was held in the same Brazilian cell where the mistreatment alleged in U.S. vs. TOSCANINO, 500 F.2d 267 (2nd Cir. 1974), occurred, and even asserts that he met TOSCANINO THERE. )

The October 20, 1991 article, that was supplied by TOSCANINO HIS SON AND LAWYER, that I attached to my [Lambros] Writ of Certiorari from CAMPINAS proves that Francesco Toscanino was incarcerated and seen by the same newspaper reporters at the Federal Police Station in Brasilia, Brazil during 1991. In fact, the DEA assisted in the investigation and arrest of TOSCANINO and the U.S. Department of State was fully aware that TOSCANINO was held with Lambros.

PETERSON IS STILL REFUSING TO INVESTIGATE AND RELEASE INFORMATION THAT HE HAS AND HAD AUTHORITY OVER. Therefore conspiring in my daily torture.

 

IMPLANTED INMATE AT USP LEAVENWORTH


JAMES REYES/PAOLO GAVERIA, U.S. Bureau of Prisons No. 26143-008, Block A-3, who works in the clothing issue with me was implanted before he went to trial in Phoenix, Arizona in 1989 or 1990.

Reyes implants were placed in him as a preventive measure so the U.S. Government could not place the type of implants used in Lambros in him. Thus, eliminating forced interrogation, brain washing, control and torture. Reyes states that the implants used in Lambros are commonly used by the U.S. Government and Foreign Governments to force interrogate, brain wash, control and torture. Reyes holds two (2) Ph.D's and specializes in chemistry and physics and nuclear arms.

Reyes contacted Dr. Lewis Brown, Good Samaritan Medical Center, 1111 East McDowell Road, Phoenix, Arizona 85006, requesting his assistance to Lambros and background information on the type of implants I have in me. Dr. Brown stated to Reyes that authorities had contacted him already and told him not to get involved. Remember I am monitored 24 hours a day so authorities knew Reyes was assisting and even had me request various information from Reyes. I am very lucky to have fellow humanitarian inmates to assist me in the writing of my papers and research. DR. BROWN IMPLANTED REYES.

 

TIMOTHY McVEIGH


I have been in contact with McVeigh's attorney Stephen Jones and McVeigh since May 30, 1995 and referred researchers to also assist in McVeigh's defense of implants.

It is my understanding that the U.S. Government is currently consulting with Dr. Jolyn "Jolly" West of the Department of Psychiatry at the University of California at Los Angeles and I have suggested that Attorney Jones contact Dr. Plotnick who a St. Paul attorney and myself spoke to on the telephone who admitted that he implanted humans in the 1970's with Dr. Delgado.

Remember I requested Peterson to contact Dr. Plotnick during my [Lambros'] pretrial and trial to no avail. I am now requesting Peterson to contact Dr. Plotnick and Dr. West as they were both very active in project MK-ULTRA so they validate the use of implants in humans by U.S. and Foreign Governments. Also I am requesting Peterson to contact Attorney Stephen Jones, McVeigh's attorney for information on the implantation of humans.

 

POLYGRAPH OPPORTUNITY LETTER
(WHAT IS GOOD FOR THE GOOSE IS ALSO
GOOD FOR THE GANDER)


Defendant Lambros will be serving copy of this MOTION to the below listed individuals as an opportunity to take a POLYGRAPH TEST as to their knowledge of my torture, implantation, and the existence of the "DEPATTERNING CELL(s)/ROOM(s)" within the Federal Police Station in Brasilia, Brazil and as to the fact that FRANCESCO TOSCANINO was held with JOHN GREGORY LAMBROS in 1991 at the Federal Police Station in Brasilia, Brazil.

Defendant Lambros is also requesting U.S. Assistant Attorney Peterson and Lambros' attorney Colia Ceisel to forward the following individuals AN OPPORTUNITY LETTER TO TAKE A POLYGRAPH TEST as to their knowledge of the acts of torture, implantation, existance of the "DEPATTERNING CELL(s)/ROOM(s)" within the Federal Police Station in Brasilia, Brazil and as to the fact that FRANCESCO TOSCANINO was held within the Federal Police Station in Brasilia, Brazil with John Gregory Lambros in 1991.

Since the United States Supreme Court decided SOUTH DAKOTA vs. NEVILLE, 459 US 553, 74 LEd2d 748, 103 S. Ct. 916 (1983), prosecutors have been able to admit into evidence chemical test refusal for the purpose of showing that the defendant had a guilty conscience, i.e. he refused because he himself thought he would not pass the test. Using this rationale, Lambros is requesting U.S. Assistant Attorney Peterson and Attorney Colia Ceisel to forward POLYGRAPH OPPORTUNITY LETTERS to the below listed individuals that I am notifying via copy of this MOTION as a request to submit to POLYGRAPH EXAMINATION AND QUESTIONING as to the inculpatory and exculpatory facts in Defendant John Gregory Lambros' case, and also, Defendant John Gregory Lambros has since 1991 and continues to submit to POLYGRAPH EXAMINATION AND QUESTIONING ON THE SAME FACTS.

Past studies have shown that police and government officials always refuse. It is this refusal that will assist all parties in exposing the cover-up by Brazil and the United States in placing implants in Lambros for brain washing, torture, forced interrogation, involuntary religious servitude and the fact that a "depatterning cell(s)/room(s)" exist at the Brazilian Federal Police Station in Brasilia, Brazil that was used to depattern Defendant John G. Lambros. This Court and the public will call into question the credibility of the U.S. and Brazilian Officials at that time of refusal to be polygraphed. This often happens because it is this test which is routinely used by law enforcement employment and investigations. This is especially true for the officials whose own agency uses polygraph for those purposes and where the official has taken a polygraph test in the past. It is important for this Court and the public to note that the official's refusal is the evidence which this court and the public are seeking, and the letter to the official substantiates the refusal.

 

ARRANGEMENTS FOR A POLYGRAPH EXAMINATION


Defendant Lambros' attorney Colia Ceisel and U.S. Attorney Douglas Ray Peterson may contact NATIONAL LEGAL PROFESSIONAL ASSOCIATES, Director H. Wesley Robinson, 7 Mariners Cove, Cincinnati, Ohio 45249, FAX (513) 247-9580. On October 23, 1995, Director Robinson advised Defendant Lambros and his family of their meeting with former FBI Special Agent, Patrick Conley, concerning Defendant Lambros' case. Based upon the information former FBI Special Agent Conley has provided to Director Robinson and the staff of NLPA, upon receipt of $2500.00, NLPA will initiate making arrangements for a polygraph examination to be administered to John Gregory Lambros at USP Leavenworth or at a facility in Minnesota before re-sentencing. This fee will include the following: (1) the cost of the polygraph examiner; (2) the cost for NLPA to assist in preparing the necessary paperwork to arrange for the polygraph examiner to gain access to the institution; and (3) the cost for working with the polygraph examiner to properly debrief him and prepare him for the polygraph examine.

Defendant Lambros is requesting the Court to approve a polygraph exam for Lambros and the funding. Also Defendant Lambros is requesting that NLPA be used to coordinate the polygraph testing for the following individuals. (This Court never paid the Lambros family for funds they expended when Attorney Faulkner requested the assistance of NLPA or the fees for Dr. Criqui's evaluation that was submitted to this Court.)

 

LIST OF INDIVIDUALS TO BE ORDERED POLYGRAPH
TESTED AND QUESTIONEN

  1. Luiz Carlos Andreaci, last known address as of July 1995, 8225 Lake Drive, #C502, Miami Springs, Florida 33166-7795 or c/o U.S. Parole Office, Miami, Florida as Andreaci is on federal parole for his escape of a federal prison in the U.S. and his capture in Brazil. Andreaci assisted Brazilian Federal Police in the torture of Lambros at the Federal Police Station in Brasilia, Brazil and is a possible U.S. District Court in Miami, Florida are: 82-00607-JWK BOND JUMPING, 82-00274-CR-JWK-2 - Conspiracy to import into the U.S. (Cocaine) etc. Andreaci used Attorney Rene A. Sotottio with offices in Coral Gables, Fl. and Miami, Florida as to 8/26/85 and used the bonding Co. of Allied Fid. Insurance Co., David Stern, Hollywood, Florida. The U.S. Prosecuter was Carole Yvonne Taylor.

    ** Government docket sheet entry 171, May 10, 1993 states that the government DESTRUCTED EXHIBITS. WHY? Andreaci had just been returned from Brazil on U.S. Extradition Lambros.
  2. Attorney Paulo Roberto Chaves Rollo, legal counsel for the U.S. Embassy, Brasilia, Brazil. Rollo was directly in charge of all legal matters regarding Lambros and refused in writing to give Lambros his U.S. extradition warrants, legal papers and BAIL. Rollo also refused to visit and speak with Lambros. c/o U.S. Department of State, 22nd D. Street, N.W., Washington, D.C. 20520.
  3. John A. Lowell, Counsel of U.S. Embassy in Rio de Janeiro, Brazil in 1991 & 1992. c/o U.S. Department of State, 22nd D. Street, N.W., Washington, D.C. 20520.
  4. Margaret Murphy, Counsel of U.S. Embassy in Brasilia, Brazil in 1991 & 1992. c/o U.S. Department of State, 22nd D. Street, N.W., Washington, D.C. 20520.
  5. Deborah Barrass, Assistant Counsel of U.S. Embassy in Brasilia, Brazil in 1991 & 1992. c/o U.S. Department of State, 22nd D. Street, N.W., Washington, D.C. 20520.
  6. Purvis Cartwright, Bureau of Prisons No. 59478-079. As of two weeks ago I was informed that Cartwright was being held at the BOP facility in Florence, Colorado.
  7. Stephen A. Gilkerson, FBI Special Agent, Suite 1100, 111 Washington Avenue South, Minneapolis, Minnesota 55401.
  8. Dr . David E . Tubman , M. D ., ABBOTT NORTHWESTERN HOSPITAL,800 East 28th Street, Minneapolis, Minnesota 55407. Dr. Tubman was responsible for altering x-ray and CAT Scan images of Lambros.
  9. Bill Wilkins, Past Counsel of U.S. Embassy in Brasilia, Brazil in 1991. Wilkins address as of 9/21/93, Oakwood Apartments, 503 North Roosevelt Blvd., Falls Church, Virginia 22044
  10. Brian Wronge, proven implant victim that has had implants removed, c/o Editor Maitefa Angaza, THE CITY SUN NEWSPAPER, P.O. Box 020560, Brooklyn, New York 11202
  11. President Carl Schleicher, Ph.D., MANKIND RESEARCH UNLIMITED INC. (MRU), 1315 Apple Ave., Silver Spring, MD. 20910. MRU contracts government scientists to perform human implantation.
  12. Dr. Jose M.R. Delgado, Pasaje de Caleruega, 13, Madrid, Spain 28033. Dr. Delgado has first hand knowledge of the implantation to humans in Brazil.
  13. Dr. Rodney Plotnick, U.C.S.D. College of Science, 5500 Campanile Drive, San Diego, CA. 92182-4611. Dr. Plotnick has implanted humans and performed research for the CIA in the 1970's as per attorney's letter to U.S. Judge D. Murphy.
  14. Past President of Brazil Collor de Mello, c/o FERNANDO HENRIQUE CARDOSO, President of Brazil, Attn: Ambassador of Brazil, 3006 Massachusetts Avenue, N.W., Washington, D.C. 20008 USA. Collor de Mello was the President of Brazil in 1991 and was fully aware of the torture Lambros was receiving in Brasilia with implants and "depatterning".
  15. Catholic Cardeal Dom Jose Freiro Falcao, Av. L-2 Sul, Quadra 601, Brasilia, D.F., Brazil. Cardeal Falcao personally condones the use of implants within humans and the use of the "depatterning" for religious conversions, thus involuntary religious servitude, torture and slavery.
  16. All Brazilian Federal Police working at the Federal Police Station, SR/SPF, Quadra 7, Lote 23, Brasilia, D.F., Brazil, in 1991 & 1992 where the "depatterning cell(s)/room(s)" exist and the common use of forced implantion and torture.
  17. FRNCESCO TOSCANINO who is currently incarcerated in a maximum security prison near Naples, Italy. Francesco Toscanino was incarcerated with Lambros in 1991 during his extradition to Italy and may have implants within him. Toscanino's lawyer during his extradition process in 1991 in Brazil was Dr. Julio Cardella, Rua General Osorio, 939, Campinas - Sao Paulo, Brazil. Tel. (55) 192-340608. U.S. Assistant Attorney Peterson has refused to contact Dr. Cardella.
  18. ROBERT NAESLUND, implant victim who has had his implants removed and currently writing and distributing material on the forced implantation of humans. C/o GRUPPEN, Box 136, 114-79 Stockholm, Sweden. Fax: (46) 8-668-60-66.

 

BACKGROUND INFORMATION


This Court, U.S. Assistant Attorney Douglas Ray Peterson, Attorney Ceisel and individuals that Defendant Lambros has requested polygraph examination and questioning may wish to review my new Web site that has been established by BOYCOTT BRAZIL.

BOYCOTT BRAZIL'S new Web site offers immediate access to must-read research reports by the world renown publisher of the PHOENIX LETTER, Dr. Antony C. Sutton, formerly Hoover Institute of War, Revolution and Peace, Stanford University and U.C.L.A., letters to U.S. Senator Jesse Helms and members of the Foreign Relations Committee, President Fernando Henrique Cardoso of Brazil and Attorney Stephen Jones the attorney for Oklahoma City bombing defendant Timothy McVeigh as to his claims that he was also implanted with a mind-control computer chip.

Visit BOYCOTT BRAZIL'S web site to get the latest news on legal actions and Boycott's by Defendant Lambros and Boycott Brazil.

Everyone in the WORLD can reach BOYCOTT BRAZIL at the same address.

 

POINT YOUR BROWSER TO:

http://www.brazilboycott.org


This defendant prays that this Court will ORDER U.S. Assistant Attorney Peterson to interview, question and request that the above listed individuals submit to POLYGRAPH EXAMINATIONS as per written notice from PETERSON and submit copy of the POLYGRAPH EYAMINATION request letter with this Court so it may be used during the RE-SENTENCING of Defendant Lambros as to those individuals knowledge of the implantation of humans for the purpose of control, communication, forced interrogation, torture and any other type of interfacing with the human brain, biological systems and computers. Also as to the use of Grid or Depatterning Cell(s)/Room(s) and past events of torture, brainwashing, and the implantation of humans at the Federal Police Station in Brasilia, Brazil were Defendant Lambros was held during extradition to the United States in this above-entitled case.

Also Defendant Lambros is requesting this Court to ORDER his Attorney Colia Ceisel to perform the above stated requests so as to comply with American Bar Association standards in the defense of John Gregory Lambros.

I DECLARE UNDER THE PENALTY OF PERJURY THAT THE FOREGOING IS TRUE AND CORRECT AS PER TITLE 28 §1746.

Dated: May 27, 1996

Respectfully submitted,

[signed]

John Gregory Lambros, Pro Se
Reg. No. 00436-124
U.S.P. Leavenworth
P.O. Box 1000
Leavenworth, Kansas 66048-1000


 

CERTIFICATE OF SERVICE


I hereby state under the penalty of perjury that a true and correct copy of the following in U.S. vs. LAMBROS, CRIMINAL FILE NO. CR-4-89-82, RE-SENTENCING is being served by first class mail, this 1st day of June, 1996:     MOTION TO HAVE COURT ORDER U.S. ASSISTANT ATTORNEY DOUGLAS RAY PETERSON TO ORDER POLYGRAPH TESTING AND QUESTIONING OF U.S. DEPARTMENT OF STATE PAST AND PRESENT EMPLOYEES AND U.S. DEPARTMENT OF JUSTICE PAST AND PRESENT EMPLOYEES AND CONTRACT AGENTS WHO ARE RESPONSIBLE IN HAVING JOHN GREGORY LAMBROS PLACED IN THE KNOWN BRAIN AND BODY IMPLANTION AND TORTURE INTERROGATION FEDERAL POLICE STATION IN BRASILIA, BRAZIL THAT HAD A "DEPATTERNING CELL(S)/ROOM(S)" WITHIN IT DURING 1991 THRU 1992 THAT WERE BUILT BY U.S. ARMY CORPS OF ENGINEERS IN THE LATE 1960's, AS SWORN TO BY PAST U.S. ARMY RANGERS INTELLIGENCE OFFICER PURVIS CARTWRIGHT, BUREAU OF PRISONS INMATE NUMBER 59478-079 WHO TRAINED BRAZILIANS IN THE USE OF IMPLANTATION AND TORTURE AT THE ABOVE-STATED POLICE STATION.

TO:

1. CLERK OF THE COURT -                One (1) original
   District of Minnesota               One (1) copy
   U.S. Federal Courthouse             U.S. Certified Mail No.
   316 North Robert Street             P-076-327-506
   St. Paul, Minnesota 55101-1460

2. U.S. Assistant Attorney Douglas
       Ray Peterson
   District of Minnesota               One (1) copy
   U.S. Federal Courthouse
   316 North Robert Street
   St. Paul, Minnesota 55101-1460

3. Attorney Colia F. Ceisel
   Suite 500, Minnesota Building       One (1) copy
   46 East 4th Steet
   St. Paul, Minnesota 55101

4. International Association of Chiefs
       of Police                       One (1) copy
   515 North Washington Street
   Alexandria, VA 22314

5. U.S. ATTORNEY FOR THE DISTRICT OF
      COLORDO                         One (1) copy
   Attn: PROSECUTION OF TIMOTHY McVEIGH
   U.S. Federal Courthouse            U.S.Certified Mail No.
   1929 Stout Street                  P-076-327-507
   Denver, Colorado 80294

6. Attorney Stephen Jones
   P.O. Box 472                       One (1) copy
   Enid, Oklahoma 73702               U.S.Certified Mail No.
   Tel. (405) 242-5500                P-076-327-508
   Attn:  Prosecution of Timothy McVeigh
          COURT EXHIBITS

7. Luiz Carlos Andreaci               One (1) copy
   8225 Lake Drive, C-502
   Miami Springs, Florida 33166-7795

8. Attorney Paulo Roberto Chaves Rollo
   c/o U.S. Department of State       One (1) copy
   22nd D. Street, N.W.
   Washington, D.C. 20520

9. John A. Lowell
   c/o U.S. Department of State       One (1) copy
   22nd D. Street, N.W.
   Washington, D.C. 20520

10. Margaret Murphy
    c/o U.S. Department of State
    22nd D. Street, N.W.               One (1) copy
    Washington, D.C. 20520

11. Deborah Barrass
    c/o U.S. Department of State      One (1) copy
    22nd D. Street, N.W.
    Washington, D.C. 20520

12. Purvis Cartwright
    Reg. No. 59478-079                One (1) copy
    U.S.P. Florence
    Florence, Colorado 81292

13. Stephen A. Gilkerson
    FBI Special Agent                 One (1) copy
    Suite 1100
    111 Washington Avenue South
     Minneapolis, Minnesota 55401

14. Dr. David E. Tubman, M.D.
    Abbott Northwestern Hospital      One (1) copy
    800 East 28th Street
    Minneapolis, Minnesota 55407

15. Bill Wilkins
    Oakwood Apartments                One (1) copy
    503 North Roosevelt Blvd.
    Falls Church, Virginia 22044

16. Brian Wronge
    c/o Editor Maitefa Angaza
    THE CITY SUN NEWSPAPER            One (1) copy
    P.O. Box 020560
    Brooklyn, New York 11202

17. President Carl Schleicher, Ph.D.
    Mankind Research Unlimited Inc. (MRU)
    1315 Apple Ave.                   One (1) copy
    Silver Spring, MD. 20910

18. Dr. Jose M.R. Delgado
    Pasaje de Caleruega 13             One (1) copy
    Madrid, Spain 28033

19. Dr. Rodney Plotnick
    U.C.S.D. College of Science        One (1) copy
    5500 Campanile Drive
    San Diego, CA 92182-4611

20. Past President of Brazil
    Collor de Mello
    c/o FERNANDO HENRIQUE CARDOSO      One (1) copy
    President of Brazil                 U.S. Certified Mail No.
    c/o Ambassador of Brazil USA              P-076-327-509
    3006 Massachusetts Avenue, N.W.
    Washington, D.C. 20008 USA

21. Catholic Cardeal Dom Jose Freiro Falcao
    Av. L-2 Sul, Quadra 601,              One (1) copy
    Brasilia, D.F., Brazil                U.S. Certified Mail No.
    c/o President of Brazil               P-076-327-509
    Fernando Henrique Cardoso
    c/o Ambassador of Brazil USA
    3006 Massachusetts Avenue, N.W.
    Washington, D.C. 20008 USA

22. CHIEF OF THE FEDERAL POLICE IN BRAZIL
    C/O PRESIDENT OF BRAZIL               One (1) copy
    FERNANDO HENRIQUE CARDOSO             U.S. Certified Mail No.
    c/o Ambassador of Brazil USA          P-076-327-509
    3006 Massachusetts Avenue, N.W.
    Washington, D.C. 20008 USA

23. Francesco Toscanino
    c/o Maxime Toscanino
    Reg. No. 08126-069                    One (1) copy
    P.O. Box 2000
    Fort Dix, N.J. 08640

24. Robert Naeslund
    GRUPPEN
    Box 136                               One (1) copy
    114-79
    Stockholm, Sweden

25. Arthur E. Green, Director
    WASHINGTON FOREIGN PRESS CENTER
    898 National Press Building           One (1) copy
    529 - 14th Street, N.W.
    Washington, D.C. 20045
    E-Mail: green@usia.gov

26. National Legal Professional Associates
    7 Mariners Cove                       One (1) copy
    Cincinnati, Ohio 45249


27. Attorney Tim Bailey
    Robins, Kaplan, Miller & Ciresi
    1500 Landmark tower                   One (1) copy
    345 St. Peter Street
    St. Paul, Minnesota 55102-1638

28. Helen Roth, Specialist
    TRW Information System & Services
    Consumer Affairs Special Services
    701 TRW Parkway                       One (1) copy
    P.O. Box 1240
    Allen, Texas 75013-1240
    E-Mail: webmaster@trw.com

29. Raymond H. Lavas, Technical Consultant
    Ted L. Gunderson International Security
    Consultants & Investigations
    2118 Wilshire Blvd.                 One (1) copy
    Suite 422
    Santa Monica, CA 90403-5784

30. American Bar Association
    Ethics Department                   One (1) copy for
    750 North Lake Shore Drive          review,file & release
    Chicago, IL 60611

31. U.S. Senator Jesse Helms & the
    Foreign Relations Committee         One (1) copy
    United States Senate
    Washington, D.C. 20510-3301

32. Dr. Antony C. Sutton, Editor
    PHOENIX LETTER                     One (1) copy

33. JANE'S INFORMATION GROUP
    17310 Redhill Avenue, Suite 370    One (1) copy
    Irvine, CA 92714                   U.S. CERTIFIED MAIL NO.
    Fax: (714) 724-1576                P-076-327-026
    E-Mail: info@janes.com
    HOME PAGE: http://www.janes.com/janes.html

34. Greek Church

35. Lambros family

36. Internet Press release and Posting

[signed]

John Gregory Lambros, Pro Se
Re. No. 00406-124
USP Leavenworth
P.O. Box 1000
Leavenworth, Kansas 66048-1000


The address for the Boycott Brazil homepage is:
http://www.brazilboycott.org

Return to Lambros Home Page




For more information write (snail mail) JOHN GREGORY LAMBROS directly at:

JOHN GREGORY LAMBROS
Prisoner No. 00436-124
U. S. Penitentiary Leavenworth
PO Box 1000
Leavenworth, KS 66048-1000
USA

THANK YOU FOR YOUR SUPPORT AND ASSISTANCE IN MY BOYCOTT OF BRAZILIAN PRODUCTS.