November 19, 1999, and November 20, 1999. PLAINTIFF LAMBROS' OBJECTION TO THE ORDER OF U.S. DISTRICT COURT JUDGE DAVID S. DOTY, DATED NOVEMBER 15, 1999, AS TO PLAINTIFF'S MOTION FOR SANCTIONS AGAINST DEFENDANTS' ATTORNEYS UNDER FEDERAL RULE OF CIVIL PROCEDURE 11 AND 28 U.S.C. 1927 BEING DENIED. Total of one (1) page. Also, SUPPLEMENTAL INFORMATION AS TO PLAINTIFF LAMBROS' REQUEST FOR SANCTIONS AGAINST DEFENDANTS ATTORNEYS UNDER A COMBINATION OF RULE 11 AND SECTION 1927. Total of four (4) pages. Combined total of both documents with CERTIFICATE OF SERVICE is six (6) pages. NO EXHIBITS SCANNED.


CERTIFICATE OF SERVICE

LAMBROS vs. FAULKNER et al., CIVIL CASE NO. 98-1621 (DSD/JMM)

I hereby state under the penalty of perjury that a true and correct copy of the attached:

a. PLAINTIFF LAMBROS' OBJECTION TO THE ORDER OF U.S. DISTRICT COURT JUDGE DAVID S. DOTY, DATED NOVEMBER 15, 1999, AS TO PLAINTIFF'S MOTION FOR SANCTIONS AGAINST DEFENDANTS' ATTORNEYS UNDER FEDERAL RULE OF CIVIL PROCEDURE 11 AND 28 U.S.C. 1927 BEING DENIED.

b. Exhibit A, attachment, "SUPPLEMENTAL INFORMATION AS TO PLAINTIFF LAMBROS' REQUEST FOR SANCTIONS AGAINST DEFENDANTS ATTORNEYS . . ." Dated November 19, 1999

was served the 22nd day of November, 1999, via U.S. Mail through the USP Leavenworth mailroom, to:

1. CLERK OF THE COURT
DISTRICT OF MINNESOTA
316 North Robert Street
St. Paul, Minnesota 55101-1460
One original and one copy

U.S. CERTIFIED MAIL NO. Z-233-380-976

2. Attorney Donna Rae Johnson
Attorney Donna Ellis
700 St. Paul Building
6 West Fifth Street
St. Paul, Minnesota 55101

3. INTERNET RELEASE TO BOYCOTT BRAZIL SUPPORTERS AND HUMAN RIGHTS GROUPS GLOBALLY

4. Inter-American Commission on Human Rights
Organization of American States
1889 F. Street, N.W.
Washington, D.C. 20006 USA
RE: TO BE FILED WITH: JUNE 30, 1998, Complaint and released to all 35 countries that are members of the Organization of American States.

5. Judge Baltasar Garzon of the National Court of Madrid, Spain
Audiencia National
Garcia Gutierrez, #1
Madrid, Spain 28004
RE: TO BE FILED WITH: January 5, 1999, REQUEST FOR ADMISSIONS, mailed on January 7, 1999 and received by Judge Garzon on January 25, 1999.

JOHN GREGORY LAMBROS, #00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000, USA

End of Certificate of Service


UNITED STATES DISTRICT COURT
DISTRICT OF MINNESOTA

JOHN GREGORY LAMBROS

Plaintiff

vs.

CHARLES W. FAULKNER, SUED AS ESTATE/WILL/BUSINESS INSURANCE OF DECEASED ATTORNEY CHARLES W. FAULKNER

ATTORNEY SHEILA REGAN FAULKNER

FAULKNER & FAULKNER

JOHN & JANE DOE'S

Defendants

CIVIL CASE NO.
98-1621 (DSD-JMM)

VERIFIED MOTION

PLAINTIFF LAMBROS' OBJECTION TO THE ORDER OF U.S. DISTRICT COURT JUDGE DAVID S. DOTY, DATED NOVEMBER 15, 1999, AS TO PLAINTIFF'S MOTION FOR SANCTIONS AGAINST DEFENDANTS' ATTORNEYS UNDER FEDERAL RULE OF CIVIL PROCEDURE 11 AND 28 U.S.C.§1927 BEING DENIED

COMES NOW, JOHN GREGORY LAMBROS, Plaintiff, Pro Se, requesting to object to this Courts ORDER dated November 15, 1999, as to Plaintiff's motion for sanctions against defendants' attorneys under FRCP 11 and Title 28 U.S.C.

 

§1927 being denied, due to NEWLY DISCOVERED INFORMATION.

1. Plaintiff received this Courts November 15, 1999, ORDER on November 19, 1999, at 4:30 P.M.

2. Plaintiff completed the attached motion entitled, "SUPPLEMENTAL INFORMATION AS TO PLAINTIFF LAMBROS' REQUEST FOR SANCTIONS AGAINST DEFENDANTS' ATTORNEYS UNDER A COMBINATION OF RULE 11 AND SECTION 1927, DATED SEPTEMBER 4, 1999," at approximately 2:45 P.M. EXHIBIT A.

3. Plaintiff submits EXHIBIT A. for this courts review.

EXECUTED: November 20, 1999.

JOHN GREGORY LAMBROS, Pro Se
Reg. No. 00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000


UNITED STATES DISTRICT COURT
DISTRICT OF MINNESOTA

JOHN GREGORY LAMBROS

Plaintiff

vs.

CHARLES W. FAULKNER, SUED AS ESTATE/WILL/BUSINESS INSURANCE OF DECEASED ATTORNEY CHARLES W. FAULKNER

ATTORNEY SHEILA REGAN FAULKNER

FAULKNER & FAULKNER

JOHN & JANE DOE'S

Defendants

CIVIL CASE NO.
98-1621 (DSD-JMM)

VERIFIED MOTION

SUPPLEMENTAL INFORMATION AS TO PLAINTIFF LAMBROS' REQUEST
FOR SANCTIONS AGAINST DEFENDANTS ATTORNEYS UNDER A COMBINATION OF RULE 11 AND
SECTION 1927, DATED SEPTEMBER
4, 1999.

COMES NOW, JOHN GREGORY LAMBROS, Plaintiff, Pro Se, requesting to SUPPLEMENT INFORMATION as to his
September 4, 1999, "PLAINTIFF LAMBROS' REQUEST FOR SANCTIONS AGAINST DEFENDANTS ATTORNEYS UNDER A
COMBINATION OF RULE 11 AND SECTION 1927." Plaintiff Lambros thinks that criminal charges may be appropriate
against Defendant Sheila Regan Faulkner for lying to this court within her

December 14,
1998, AFFIDAVIT, paragraph three (3), which states:

I am also an attorney, and I have never been employed as a Federal Public Defender, but I am employed part time by Hennepin County as a Public Defender. We both pr practice in these fields separately, AND WE WERE EACH PAID SEPARATELY, UNDER OUR OWN SOCIAL SECURITY NUMBERS, NOT THE FEDERAL ID NUMBER OF FAULKNER & FAULKNER.

(EXHIBIT A,
December 14,
1998, AFFIDAVIT) NEWLY DISCOVERED INFORMATION:

1. On November 17,
1999, Plaintiff received copy of the "Instructions
Page 1
for Completing the CJA Form 20: APPOINTMENT OF AND AUTHORITY TO PAY COURT APPOINTED COUNSEL," for the United States District Court, District of Minnesota, c/o Federal Defender Office, Suite 107, U.S. Courthouse, 300 South Fourth Street, Minneapolis, Minnesota 55415, Tel. (612) 664-5858, dated 03/22/99. (EXHIBIT B, Cover page and pages one (1), two (2), and three (3).)

2. Page two and three of INSTRUCTIONS FOR COMPLETING THE CJA FORM
20, clearly states the procedure for REPORTING CJA INCOME AS FIRM INCOME RATHER
THAN PERSONAL INCOME OF THE ATTORNEY AS THE FINANCIAL RELATIONSHIP
OF THE ATTORNEY
WITH THE FIRM DICTATES HOW THE INCOME SHOULD BE REPORTED.

3. BLOCK 16A: states, "Check 'Yes' -- If you have a preexisting agreement with a corporation, including a professional corporation, that CJA EARNINGS BELONG TO THE CORPORATION, CHECK THE BOX "YES", you are then required to complete boxes 16C and 16D -- firm tax id number, name and address."

4. BLOCK 16B: states, "Enter your social security number EXCEPT if you have a preexisting agreement with a law firm or corporation, including a professional corporation, that CJA earnings belong to the law firm or corporation. If the social security number is entered, leave items 16C and-D blank and proceed directly to Item 17."

5. BLOCK 16C: states, "Enter the law firm's employer identification number if you have a preexisting agreement with a law firm (or a corporation) that the CJA earnings belong to the law firm (or corporation)).

ATTORNEY CHARLES W. FAULKNER'S CJA FORM 20, DATED FEBRUARY 17, 1994, VOUCHER NO. 0380221, FOR TOTAL COMPENSATION OF $16,560.00

6. Defendant Charles W. Faulkner stated within his CJA Form 20 the following facts:

a. BLOCK 16A: YES, that he has a preexisting agreement within a corporation, including a professional corporation.

Page 2.


b. BLOCK 16B: This blank was not typed in, as it requested Defendant Charles Faulkner's SOCIAL SECURITY NUMBER, if the earning were to belong DIRECTLY of Defendant Charles Faulkner.

C. BLOCK 16C: Defendant Charles Faulkner entered the law firm FAULKNER & FAULKNER'S employer I.D. Number 41-153-4878. Therefore, all CJA EARNINGS BELONG TO THE CORPORATION AND/OR PARTNERSHIP FAULKNER & FAULKNER, IN THE REPRESENTATION OF JOHN GREGORY LAMBROS.

d. BLOCK 16D: Defendant Charles Faulkner entered the name
and mailing address of the law firm, FAULKNER & FAULKNER, Suite 500, 701 Fourth
Avenue South, Minneapolis, Minnesota 55415. Again requesting the CJA earnings

in the representation of John G. Lambros to belong to the law firm and not
Defendant Charles Faulkner in an individual capacity.

7. EXHIBIT C, is copy of Attorney Charles W. Faulkner's CJA form, dated February 17, 1994, voucher number 0380221, for a grand total compensation of $16,560.00.

8. Therefore, Defendant Attorney Sheila Regan Faulkner, committed FRAUD in lying to this court within her December 14, 1998, AFFIDAVIT in an attempt to have this court dismiss her and the law firm of FAULKNER & FAULKNER, as defendants from this action.

ATTORNEY DONNA RAE JOHNSON, Attorney I.D. #50945

9. Attorney Donna Rae Johnson also committed fraud and made false statements as to Defendant Charles Faulkner being paid individually under his own social security number, not the Federal ID number of FAULKNER & FAULKNER in the following motions to this court, in an attempt to have this court dismiss this action against Defendant Attorney Sheila Regan Faulkner and FAULKNER & FAULKNER:

a. MEMORANDUM IN OPPOSITION TO PLAINTIFF'S MOTIONS AND IN

Page 3.


SUPPORT OF DEFENDANTS MOTIONS, dated December 12, 1998, on the following pages:

1. Page 2: "Each practices in these fields separately, and each is paid separately, under their own social security numbers, not the Federal ID No. of Faulkner & Faulkner." Of interest on this page is the sentence, "Sheila Faulkner acted in an ADMINISTRATIVE CAPACITY FOR THE LAW FIRM, and occasionally as a consultant, after her automobile accident in April, 1988."

2. Page 6: "Charles Faulkner was appointed by the Federal Public Defender's office to represent John Lambros, and he was paid, INDIVIDUALLY, an hourly rate to do so."

3. Page 7: "She was a partner in Faulkner & Faulkner, which was also NOT INVOLVED IN THE REPRESENTATION OF PLAINTIFF,

10. Therefore, Attorney Donna Rae Johnson committed FRAUD and made

false statement to this court in an attempt to have her clients dismissed from
this action. t

11. Plaintiff hereby states under the penalty of perjury that the foregoing is true and correct. Title 28 USC Section 1746.

DATED: November 19, 1999

JOHN GREGORY LAMBROS, Pro Se
Reg. No. 00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000

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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.