August 22, 1998 REQUEST FOR ADMISSIONS FROM: CYNTHIA COLLETT, PRESIDENT OF COLLETT ENTERPRISES, 6708 NORTH MONROE, SPOKANE, WASHINGTON 99208, in LAMBROS vs. FAULKNER, Civil No. 98-1621.


LAMBROS vs. FAULKNER, CIVIL CASE NO. 98-1621 (DSD-JMM)
CERTIFICATE OF SERVICE

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

a. REQUEST FOR ADMISSIONS FROM: THE PARVUS COMPANY, 8403 COLESVILLE ROAD, SUITE 610, SILVER SPRINGS, MARYLAND 20910 - (23 Admissions requested)
Dated August 13, 1998.

was served via first class mail, postage paid, to the following persons on August 25, 1998.

1. Clerk of the Court
District of Minnesota
U.S. Federal Courthouse
316 North Robert Street
St. Paul, Minnesota 55101-1460

2. CYNTHIA COLLETT, President
Collett Enterprises
6708 North Monroe
Spokane, Washington 99208
U.S. Certified Mail No. Z-138-670-636, RETURN RECEIPT REQUESTED

3. Attorney Sheila Regan Faulkner
2680 Sumac Ridge
St. Paul, Minnesota 55110

4. Legal Department
America Online
8619 Westwood Center Drive
Vienna, VA 22182-2285
RE: CROSS REFERENCE LETTERS FROM JOHN GREGORY LAMBROS TO AOL'S CUSTOMER SERVICE.

Signed:

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


IN THE UNITED STATES DISTRICT COURT
FOR THE STATE OF MINNESOTA

JOHN GREGORY LAMBROS, #00436-124
USP Leavenworth
PO Box 1000
Leavenworth, Kansas 66048-1000, USA
Web site:
http://www.brazilboycott.org

Plaintiff,

vs.

ESTATE/WILL/BUSINESS INSURANCE OF DECEASED ATTORNEY CHARLES W. FAULKNER, 2680 Sumac Ridge, St. Paul, Minnesota 55110 USA

ATTORNEY SHEILA REGAN FAULKNER, 2680 Sumac Ridge, St. Paul, Minnesota 55110 USA

FAULKNER & FAULKNER, Attorneys-at-Law, 2680 Sumac Ridge, St. Paul, Minnesota 55110 USA;

JOHN & JANE DOE'S, persons employed by Attorney C.W. Faulkner, Sheila Regan Faulkner and Faulkner & Faulkner in the representation of John Gregory Lambros;

Defendants (Severally and jointly liable).

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

DEMAND FOR TRIAL BY JURY, Title 28 USC Rule 38 & 39.

COMPANION CASE NO.
U.S. vs. LAMBROS
, Criminal File No. CR-4-89-82(05), District of Minnesota, Eighth Circuit Court of Appeals No. 65 F.3d 698 (1995).

SECOND MOTION TO SUPPLEMENT THIS DECLARATORY JUDGMENT
ACTION/COMPLAINT PURSUANT TO FRCP 15(A).

REQUEST FOR ADMISSIONS FROM:

CYNTHIA COLLETT, COLLETT ENTERPRISES
6708 NORTH MONROE, SPOKANE, WASHINGTON 99208

Plaintiff Lambros requests LAW OFFICE MANAGEMENT INCORPORATED, within thirty (30) after service of this request to make the following admissions for the purpose of this action.

A. Each of the following statements are TRUE.

1. Cynthia Collett (hereinafter Collett) is President of Collett Enterprises, a computerized secretarial service.

2. Collett Enterprises performs the following services on a hourly basis: business documents, college papers, theses and dissertations, grant writing, web page design, professional writing, revising your writing and business plan development. Collett Enterprises brochure states it can help in database design and input.

3. Collett Enterprises uses the following types of equipment in performing tasks: PC computer, computer monitor, laser printer, fax machine, laser copy machine and scanner with OCR, as per Collett Enterprises business brochure.

4. John Gregory Lambros contacted Collett on or about November, 1997, as to the converting of legal documents and press releases into electronic duplicates to be placed within a internet web site.

5. Lambros purchased half of a TextBridge Pro 98 OCR scanning software program for Collett to assist in converting legal documents and press releases into electronic duplicates to be placed within an internet web site.

6. Collett received money from several different sources to pay for the scanning, OCR'ing, design of database, input, web page design and maintenance of an America Online web site for one (1) year for Lambros.

7. Collett wrote Lambros on July 16, 1998, informing Lambros that the 237 pages of documents Lambros contracted to have scanned, OCR'ed and placed within a web site on America Online for one (1) year was completed and the web site was up and running.

8. Collett informed her past husband, Ed Overacker, on or about July 18, 1998, to inform Lambros that his web site with documents is up and working properly at the following America Online web site address: http://members.aol.com/ lambrosbl

9. Collett's letter to Lambros on July 16, 1998, stated that Lambros' America Online web site address was: www.members.aol\lambrosbl.com (with the final digit being the number 1 not a lower case L).

10. Lambros has written Collett as to the different web site addresses that have been provided Lambros for access to his legal documents in current legal actions.

11. Lambros wrote Collett on August 6, 1998, as to the web site she established for Lambros' 237 pages of documents. Lambros' letter informed Collett that the web site on AOL was not working and could not be accessed through YAHOO or WEBCRAWLER. Lambros requested Collett to contact AOL, YAHOO and other various search engines as to the problem of being able to access the Lambros web cite that Collett is maintaining.

12. Lambros wrote Collett on August 20, 1998, stating that one of the guards at USP Leavenworth tried to access the web site Collett established for Lambros via YAHOO, and he was not able to access it.

13. Collett understands that the database of 237 pages of documents she was contracted to place in electronic form on the America Online web site is being used within current legal proceedings as evidence and discovery material.

DATED: August 22, 1998

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


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

Return to Boycott Brazil Homepage


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.