v.
Civ. No. 5:14-cv-02559-PD
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and
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COUNTY, PENNSYLVANIA
and
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KATHLEEN KANE, THE ATTORNEY GEN:
ERAL OF PENNSYLVANIA,
MICHAEla.1{UNZ,Clerk
Respondents
By
Dep.Clerk
(b) TIME TO FILE A MOTION. Unless a different time is set by local rule or the court orders otherwise,
a party may file a motion for summary judgment at any time until 30 days after the close of all discovery."
Given the preponderance of evidence associated with the MOVANT'S AMICUS and STATEMENTS,
the courts must conclude that In The United States District Court For The Eastern District of Pennsylvania, Federal Judge Stuart Dalzall's findings of April 14, 1997, in the Lisa Lambert case identifying acts
of prosecutorial Misconduct, now, by virtue of the MOVANT'S AMICUS and STATEMENTS, now discloses
evidence of a bona fide pattern of prosecutorial misconduct, in the Commonwealth of Pennsylvania and
in the County of Lancaster.
Criminal law may determine if these disclosures would warrant investigations of a possible criminal enterprise. The MOVANT'S AMICUS and STATEMENTS is of material interest to the Habeus Corpus
filed by Lisa Michelle Lambert in May of 2014, for the very fact that this MOVANT'S AMICUS and
STATEMENTS compromises the very same integrity of the court, which would tip the scales of justice
even further from the peoples deserving rights.
In the truthfulness of MOVANT'S AMICUS and STATEMENTS, The Commonwealth must concede
and immediately release Lisa Michelle Lambert from incarceration in order to balance the scales of justice, which no other act could accomplish. The Commonwealth must yield the criminal culpability of
Lisa Michelle Lambert to the superior matter of restoring the integrity to the courts; by it's own admission of wrongdoing, assuring the peoples of it's commitment to administer equalities of justice, not inequalities of justice, balancing the scales of justice. Anything less, would take the full scope of jurisdiction out of the boundaries of our laws, negating our democracy and impugning the Constitution of the
United States.
In addition the MOVANT must be restored to whole by administering SUMMARY JUDGEMENTS in
cases 05-2288; 06-4650; and all other cases filed by the MOVANT in this court.
SUMMARY JUDGE-
MENTS must also be administered in Case No. 08-13373 in the Lancaster Court of Common Pleas, and
other cases filed by the MOVANT in that said court.
compromised the National Security of the United States, and the laws of jurist prudence must apply towards the Plaintiff's intent and motive of protecting the rights of his fellow citizens. Had the plaintiff
been protected under the law, and subsequently had the law enforcement community of the Commonwealth of Pennsylvania, and the County of Lancaster administer justice, United States troops may have
S. Under current laws, the plaintiff's intellectual capacity has been exploited as means of discrediting the plaintiff's disclosures and obstructing the plaintiff's right to due process of the law: The
plaintiff has always had the proper rights under federal and state laws to enter into contract. The logic
and reason towards the plaintiff's activities and actions are a matter of record, demonstrated in the
"Findings of Facts", contained herein .. The plaintiff will argue and successfully prove that the inherent
emotional consequences to all of the activities contained herein have resulted in Post Traumatic Stress
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Lancaster1 PA 17603
717-669-2163
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FAX NUMBER
12155976390
FROM
Stan Caterbone
DATE
RE
02559-PD
COVER MESSAGE
Stan J. Caterbone, MOVANT
Lancaster, PA 17603
717-669-2163
scaterbone@live.com
WWW.EFAX.COM
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