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MARKTEING GROUP, INC., ET. AL.,
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APPELLANT'S NOTICE TO THE COURT OF STATUS -
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AS A VICTIM OF AND WITNESS TO FEDERAL OFFENSES
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COMES NOW, the Appellant, Mark A. Adams, and files his Notice to the Court of
1. The Appellant has reported information to the Federal Bureau of Investigation and the
and/or showing probable cause that Federal offenses have been committed by Timothy
W. Weber and other members of Battaglia, Ross, Dicus & Wein, P.A., Corporate Sports
2. Timothy W. Weber, Battaglia, Ross, Dicus & Wein, P.A., Corporate Sports Marketing
Group, Inc., Christopher C. King, Dwayne Martins, and Martin Richardson have been
listed as Appellees in this action based on sanctions awards obtained without due process
and contrary to the law and the facts in Florida state court proceedings in which affidavits
of two witnesses were filed showing that Christopher C. King and Martin Richardson
claimed that their attorney, Timothy W. Weber of Battaglia, Ross, Dicus & Wein, P.A.,
was connected and implied that he could improperly influence Judge Crockett Famell and
3. Timothy W. Weber, Battaglia, Ross, Dicus & Wein, P.A., Corporate Sports Marketing
Group, Inc., Christopher C. King, Dwayne Martins, and Martin Richardson have made
claims seeking Lo profit from the improperly and illegally obtained sanctions awards in
4. Timothy W. Weber, Battaglia, Ross, Dicus & Wein, P.A., Corporate Sports Marketing
Group, lnc., Christopher C. King, Dwayne Martins, and others have engaged in extortion
by bring baseless criminal contempt charges in order to collect upon the void sanctions
5. 18 U.S.C. rj 1512, 18 U.S.C. $1513, and 18 U.S.C. 5 3771 provide protections for
victims of and witnesses to crimes and Federal offenses and provide criminal penalties
for those who engage in actions designed to retaliate against such victims or witnesses or
Court take notice of his status as a victim of and witness to Federal offenses and govern itself
accordingly.
CERTIFICATE OF SERVICE
I hereby certify that I have served a true and correct copy of this document via U.S. Mail
to Stephen L. Memmger, Esquire, attorney for the Bankruptcy Trustee, at 707 North Franklin
Street, Suite 850; Tampa, FL 33602; to Donald R. Kirk, Esquire, of Fowler White Boggs Banker,
P.A., counsel for Timothy W. Weber, at P.O. Box 1438; Tampa, FL 33601; and to Timothy W.
Weber, Esquire, pro se of Battaglia, Ross, Dicus & Wein, P.A., at 1'. 0. Box 41 100; St
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Petersburg, F1, 33743 on this -1'-
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Mark A. Adams JDIMBA
41 29 Balington Dr.
Valrico, FL 33596
Telephone: 813-643-4412