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Stan J. Caterbone
ADVANCED MEDIA GROUP

Freedom From Covert Harassment & Surveillance,


Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

April 29, 2016


E. Philip Wenger
Chairman, President and Chief Executive Officer
One Penn Square,
P.O. Box 4887
Lancaster, PA 17604
1.800.752.9580
(DRAFT VERSION)
Re: Collusion with Law Enforcement, Mental/Medical Health Professionals, and the Media to
Obstruct Pending Federal Litigation and Collusion with Law Enforcement to Conduct Antitrust Violations Dating Back to 1987 With Specific Regards to Financial Management Group,
Ltd.,
U.S. District Court Case No. 05-2288
U.S Third Circuit Court of Appeals Case No. 07-4474
Dear Phil,
I believe that certain criminal elements, (Lancaster City Police Department) that have engaged me
and my affairs-at-large have so convoluted the facts that we both may be victim to an agenda that is
beyond our understanding. That being said, it appears that the above subject line is the unintended
consequence for me, and you. I currently own 7 shares of FULT stock.
I can only maintain my current agenda in the courts for relief and remedy, however, I wish to alert you
and your Board of Directors of my analysis so that you can alert George Warner of Barley Snyder of my
allegations. Barley Snyder's conduct is also suspect on so many levels, especially most disturbing is the
legal fees ($29,000.00) charged during the Foreclosure of my home, 220 Stone Hill Road, Conestoga,
Pennsylvania In addition to the fact that the property was sold some 30 days later for an additional
$40,000 ($195,000.00) with no alterations or additions. Remember, I only received proceeds from a
sale price of $156,000 and was left with a check in the amount of only some $17,000.00. My
outstanding debt to Fulton Mortgage at the time that I stopped payments was only some $89,000.00.
Also disturbing is the handling of my allegations concerning the death of my brother, Thomas P.
Caterbone. Barley Snyder also defended Lancaster General Hospital in the Lancaster County Court of
Common Pleas Case No. CI-06-03349 , which by the way is by no means over.
We will conduct all of our business with honesty and integrity, effectively manage risk, and
be in full compliance with all legal and regulatory requirements. from your Mission Statement

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Propaganda is not only the printed word, but also is sometimes what is not said or stated.
Remember my letter regarding the activities and disclosure of Rufus Fulton with specific regards to his
tenure as an Intelligence Officer stationed at the White House during the Kennedy Administration. This
was disclosed during his interview and broadcast with WGAL-TV in or about 2008.

______________/S/____________
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
Freedom From Covert Harassment & Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

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In 1987 I became a federal whistleblower for the case of local defense contractor International
Signal and Control, or ISC. ISC was a black ops program for the NSA and CIA that was convicted in
1992 for an elaborate scheme to arm Iraq and other Middle Eastern countries with a broad array of
weapons, most notably cluster bombs. It was the third larges fraud in U.S. History at that time. I have
been a victim of organized stalking since 1987 and a victim of electronic and direct energy weapons
since 2005. I had also been telepathic since 2005. In 2005 the U.S. Sponsored Mind Control turned
into an all-out assault of mental telepathy; synthetic telepathy; hacking of all electronic devices;
vandalism and thefts of personal property, extortions, intellectual property violations, obstruction of
justice; violations of due process; thefts and modifications of court documents; and pain and torture
through the use of directed energy devices and weapons that usually fire a low frequency
electromagnetic energy at the targeted victim. This assault was no coincidence in that it began
simultaneously with the filing of the federal action in U.S. District Court, or CATERBONE v. Lancaster
County Prison, et. al., or 05-cv-2288.
This assault began after the handlers remotely
trained/sychronized Stan J. Caterbone with mental telepathy. The main difference opposed to most
other victims of this technology is that I am connected 24/7 with the same person who declares
telepathically she is a known celebrity. Over the course of 10 years I have been telepathic with at least
20 known persons and have spent 10 years trying to validate and confirm their identities without
success. Most U.S. intelligence agencies refuse to cooperate, and the Federal Bureau of Investigation
and the U.S. Attorney's Office refuse to comment and act on the numerous formal complaints that are
filed in their respective offices. Most complaints are focused on the routine victimization's of a targeted
individual including but not limited to stalking, harassment, threats, vandalism, thefts, extortion,
burglaries, false imprisonments, fabricated mental health warrants or involuntary commitments, pain
and torture to the body, and most often the cause of obstruction of justice is the computer hacking.
I have a very sophisticated and authentic library of evidence of the use of U.S. Sponsored Mind
Control technologies on my father and brother that dates back to the 1940's while my father was in the
U.S. Navy after he graduated with honors from Air Gunners School in Florida, including an affidavit
motorized and authenticated by my father in 1996. My brother served in the U.S. Air force and was
victim to LSD experiments of the infamous MKULTRA program in the late 1960's.
In 2015 I filed an amicus curie on behalf of Lisa Michelle Lambert who was convicted in 1992 of
the murder of Laurie Show, both of Lancaster, Pennsylvania. I currently am in litigation in the U.S. Third
Circuit Court of Appeals and in February of 2016 Lisa Michelle Lambert published her book titled
Corruption in Lancaster County My Story, which is available in bookstores and on Amazon.com. I
am in frequent contact with her co-author, Dave Brown of Philadelphia, Pennsylvania.
In 2009 I Proposed an ORGANIZED STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT
BILL to Pennsylvania House of Representative Mike Sturla (Lancaster, Pennsylvania) and City of
Lancaster Mayor Richard Gray in 2009. The draft legislation is the work of Missouri House of
Representative Jim Guest, who has been working on helping victims of these horrendous crimes for
years. The bill will provide protections to individuals who are being harassed, stalked, harmed by
surveillance, and assaulted; as well as protections to keep individuals from becoming human research
subjects, tortured, and killed by electronic frequency devices, directed energy devices, implants, and
directed energy weapons. I again reintroduced the bill to the Pennsylvania General Assembly in 2015
and frequented the Pennsylvania Capitol trying to find support and a sponsor; which I still do to this
day.
In 2005 I, as a Pro Se Litigant filed several civil actions as Plaintiffs in the United
States District Court for the Eastern District of Pennsylvania, the United States Third District
Court of Appeals, the Pennsylvania Supreme Court, The Pennsylvania Superior Court, the
Commonwealth Court of Pennsylvania, The Court of Common Pleas of Lancaster County,

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Pennsylvania. These litigations included violations of intellectual property rights, anti-trust


violations, and interference of contracts relating to several business interests, harassment,
extortion, fraud, etc.,. . Central to this litigation is the Digital Movie, Digital Technologies,
Financial Management Group, Ltd,/FMG Advisory, Ltd., and its affiliated businesses along
with a Federal False Claims Act or Federal Whistleblowers Act regarding the firm of
International Signal and Control, Plc., (ISC) the $1Billion Dollar Fraud and the Export
violations of selling arms to South Africa and Iraq. This litigation dates back to 1987. In
1987 I microfiched some 10,000 pages of documents that prove this story without any doubt.
I also have recorded conversations of persons and government officials.
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
Freedom From Covert Harassment & Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163
ACTIVE COURT CASES
J.C. No. 03-16-90005 Office of the Circuit Executive, United States Third Circuit Court of
Appeals - COMPLAINT OF JUDICIALMISCONDUCT OR DISABILITY re 15-3400 and 16-1149
U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149;15-3400; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 15-03984; 14-02559; 05-2288; 06-4650
Superior Court of Pennsylvania Case No. 1561 MDA 2015; 1519 MDA 2015
Lancaster County Court of Common Pleas Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 16-10157

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www.amgglobalentertainmentgroup.com
mailto:amgroup01@msn.com
Blog: http://advancedmediagroup.wordpress.com/
Research Blog: www.advancedmediagroupresearch.wordpress.com
Video Biography at: http://www.youtube.com/profile?user=advancedmediagroup

Stanley J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

December 3, 2007
R. Scott Smith
Chairman, President
And Chief Executive Officer
Fulton Financial Corporation
One Penn Square
P.O. Box 4887
Lancaster, Pennsylvania 17604
Re:

Black Budget Identities of the United States Government regarding Covert Activates & Mind Control
Rufus Fulton, Former Chairman and Chief Executive Officer & Department of Defense
Caterbone v. Fulton Bank litigation
Federal False Claims Act Complaint re International Signal & Control (ISC) of Lancaster, PA

Dear Mr. Smith:


I would like to bring to your attention a very dire matter that severely implicates Fulton Bank and
Fulton Financial Corporation. I would like to bring to your attention the Rufus Fulton interview of November
21, 2007 broadcast on WGAL TV 8 News at 6. This interview disclosed National Security information for the
first time regarding his work for the Department of Defense and the Kennedy Administration.
I am suggesting that his classified work with the Department of Defense and his present influence
concerning National Security matters is a dire conflict of interest concerning my litigation against Fulton Bank
that needs to be investigated by outside agencies and or authorities.
I have serious questions regarding the Defense Intelligence Agency and the possible collusion with
your institution. You have to understand that in July of 2005 while I was visiting a museum on a military
base in Austin Texas, I was detained by 2 agents for the Defense Intelligence Agency and questioned about
my Federal case 02-5588 Caterbone v. Lancaster County Prison, et al., which Fulton Bank is a defendant,
and my whereabouts as well as my destination.
They required me to verify where I was staying, and called my brother Phil's Doctors office in Austin,
whom I was staying with, and caused his staff problems by getting them alarmed about the situation. They
were not very nice and I left them with the question "We are all on the same team, aren't we?
They left me be on my way after reviewing my documents and my Federal civil complaint, which
included information about ISC and my allegations and Federal False Claims Act; and demanding that I do
not visit any more military bases. To my knowledge I have had no physical contact since.

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The problem is the involvement of the Department of Defense, Mr. Rufus Fultons past affiliation and
possible influence, my allegations and civil complaints against Fulton Bank, and my telepathic abilities and
remote viewing1.
For some time I have been trying to identify groups and or agencies that may have remotely trained
me. I have written to and personally visited the office of Senator Arlen Specter2, the Federal Bureau of
Investigation3, the Senate Select Committee for Intelligence4, and corresponded with the Defense Advanced
for Research Projects Agency5, and the Central Intelligence Agency6 with the hopes of finding some answers.
However they have proved fruitless.
See the attached research document dated Thursday, November 29, 2007, titled THE SHADOW
GOVERNMENT: ITS IDENTIFICATION AND ANALYSIS, by Richard J. Boylan, Ph.D7; it is a report that
identifies organizations, agencies, and companies that are directly involved with mental telepathy and
remote viewing, most of which operate under the direction and funding of the Department of Defense. I
have just recently discovered this document on Friday, November 30, 2007 and found it most disturbing
after having to watch the Rufus Fulton interview the prior week. Pay particular attention to the items in
red highlight.
Your Board of Directors and the Securities and Exchange Commission should be and will be alerted to
this discovery. I wish you would reconsider your letter of November 14, 2007 and your position no to meet
with me personally to discuss some of these issues. I believe it will be in your best interest to stay ahead of
this information. A civil and criminal conspiracy allegation that involves this information will have dire
consequences to your major stakeholders and your shareholders.
As a courtesy I will promise to give you until the end of this week, December 7, 2007 to review this
material and perform any due diligence that you seem worthy; and communicate a response. After that
time, I will take it upon myself to disclose this information as it pertains to Fulton Bank and Fulton Financial
Corporation to the Securities and Exchange Commission, and others that will help protect my interests and
the interests of the Advanced Media Group and my litigation v. Fulton Bank.
Respectfully,

Advanced Media Group


Stan J. Caterbone
www.amgglobalentertainmentgroup.com
Visit Our Blog
Visit Our Video Biography
Copy to file
Deliver to Stephanie Carfley, Barley Snyder, LLC

See attached research document titled On the Need for New Criteria of Diagnosis of Psychosis in the Light of Mind Invasive Technology
By Carole Smith Global Research, October 18, 2007; Journal of Psycho-Social Studies, 2003.
2
See attached letter dated July 12, 2007 from Stan J. Caterbone/Advanced Media Group to Senator Arlen Specter of the Senate Judiciary
Committee. Senator Arlen Specter was visited on May 17, 2006.
3
See the attached letter dated July 16, 2007 from Stan J. Caterbone/Advanced Media Group to the Federal Bureau of Investigation (FBI).
The meeting at the FBI Philadelphia Field Office took place on October 24, 2007, and the FBI Harrisburg Field Office was visited on May
17, 2006.
4
The Senate Select Intelligence Committee office was visited on May 17, 2006
5
See attached email dated February 26, 2007 regarding mental telepathy and mind control to the Defense Advanced Research Projects
Agency (DARPA).
6
See the attached email confirmation from the Central Intelligence Agency (CIA).
7
See the attached research document dated Thursday, November 29, 2007, titled THE SHADOW GOVERNMENT: ITS IDENTIFICATION
AND ANALYSIS, by Richard J. Boylan, Ph.D..

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126 East King Street


Lancaster, PA 17602-2893
Te1717.299.5201 Fax 717.291.4660

Stephanie Carfley, Esquire


Direct Dial Number: 717.399.1536

E-mail: scarfley@barley.com

December 28,2007
Stanley J. Caterbone
1250 Fremont Street
Lancaster, PA 17603
Re:

Letter to Board of Directors and Ethics Point Report

Dear Mr. Caterbone:


As you know, our firm represents Fulton Financial Corporation ("Fulton") in connection
with the allegations lodged against Fulton by you.
Fulton is in receipt of your December 13,2007 letter requesting the resignation of R.
Scott Smith, Jr. as Chairman and CEO, and it has been shared with the Board of Directors. In
that letter, you indicate that you are a shareholder of Fulton. At your earliest convenience, would
you kindly verify that you are, in fact, a shareholder and provide me with evidence of your status
as a current shareholder of Fulton. Additionally, I would like to request that you please provide
the "evidence of negligence, incompetence, and possible criminal conduct within the Fulton
Financial Corporation" you mention in your letter, or a summary of the evidence supporting your
claims, so Fulton can fully evaluate your claims.
Fulton is also in receipt of your December 21,2007 Ethics Point Report in which you
allege that Fulton has engaged in "misconduct or inappropriate behavior." Fulton intends to
investigate and address your report in accordance with its existing procedures for Ethics Point
~ e ~ o r t However,
s.
in order to assess the merit and substance of your report in accordance with
these ~rocedures.Fulton will reauire the "written details" to which you allude in that report.
Please note that specific details, not simply reference to your company's website, are required to
make this assessment. If the evidence in support of your report is the same as that to which you
refer in your December 13th letter, kindly provide a statement verifying that fact.
We ask that you provide the requested information within the next two weeks. The
information should be forwarded to this office and we will ensure that it is shared with Fulton.
Alternatively, you may enter the details of your Ethics Point Report and upload documents and
information related to the report directly on the Ethics Point site. We ask that you upload only

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CORPORATION

PO. BOX 4887

LANCASTER, PENNSYLVANIA 17604

March 25, 2005

Mr. Stan J. Caterbone


220 Stone Hill Road
Corestoga, PA !?5 16.
Dear Mr. Caterbone:

I am Deputy General Counsel for Fulton Financial Corporation ("FFC"), and I am writing
to you at the request of Fulton Bank, a wholly-owned subsidiary of FFC. Mr. E. Philip Wenger,
President and Chief Operating Officer of Fulton Bank referred your letter dated February 21,
2005 to me for review and rcsponsc.
As I understand your inquiry, it concerns a check which your deceased brother, Thomas
P. Caterbone, attempted to deposit to an account he maintained at Fulton Bank. Subsequent to
your original letter, you provided a copy of the front side of the check in question. The check
was drawn on Fulton Bank by Abstract United, Inc., and was payable to Country Funding. The
check was dated May 16,2005 and was payable in the amount of $70,285.00. The face of the
check has been conspicuously stamped "Account Frozen." I understand that Country Funding
was a trade name under which your deceased brother operated as a sole proprietor. You have
indicated that Fulton Bank declined to accept the check for deposit on multiple occasions.
Fulton Bank has conducted research concerning the check, to determine whether any
information exists concerning its original processing. Unfortunately, because of the passage of
nearly ten yexs since this check was issued, Fu!tan Bank no longer maintains aiiy transaction
records for the account on which the check was drawn. Fulton Bank's general account records
do, however, indicate that the account on which the check was drawn was closed on June 2,
1995.
Since there are no transaction records concerning the actual processing of the check, I
will confine my response to general provisions applicable to items presented for deposit to a
Fulton Bank deposit account. Fulton Bank's deposit accounts are subject to Fulton Bank's Rules
and Regulations for Deposit Accounts. I have enclosed with this letter a copy of the Rules,
which would have been in effect during 1995. The last sentence of the first paragraph of Section
1 (Deposit Accounts) provides that Fulton Bank "may at any time refuse any deposit, limit the
amount which may be deposited, return all or any part of any deposit, or may close your account,
with interest, if any, to the date of closing of such account." Again, Fulton Bank has no means to

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scaterbone@live.com
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
April 7, 2010 5:57am EST
To: Ms. Stephanie Carfley, Esquire of Barley Snyder, LLC.,
Re: Letter of April 6, 2010 Concerning The Safety Deposit Box Scandal
Dear Ms. Carfley,

First, could we please meet to discuss my response to your letter of April 6, 2010 at a place of
your choice? I believe this would help both of us reach some conclusion to this problem. Let me
know via a phone call at your earliest convenience at (717) 826-5354(voice mail) or 717-669-2163
cell phone.
As I recall I was instructed to only have contact with you with regards to issues of this nature;
and in the event you were not made aware of the email on the morning of March 22, 2010 I notified
Phil Wenger that I to meet with you from the incident of March 19, 2010 which may or may not be an
issue regarding the No Trespass Notice. The following is the contents of that email:
March 24, 2010
Phil, Tell Fernando that I had already taken care of the matter. Sorry for the
inconvenience, however, I am going to meet with Stephanie Carfly to resolve this
matter. Thank You anyway.
I will not deal with any Security Officer of Fulton Financial Corporation. It is a means of
insinuating false representations regarding my relationship and behavior at Fulton Bank offices and
branches. Remember, I filed a very detailed and thorough Complaint of Ethics Violations regarding
Fulton Bank employees back in 2008. Fulton Bank employees are trying to twist the truth of my
conduct v. their conduct.
I have a host of questions for Fulton Financial Corporation, the following are a few:
1. There was no 30 days Notice, you took sole possession of my safety deposit boxes on March
24, 2010.
2. What is the reason for the no trespass notice?
3. Is it in retaliation for my shareholder activism with regards to "FULT"?
4. Is this an effort to have the contents of my safety deposit boxes stolen from my insecure
home?
5. How could I trust another financial institution if Fulton Financial and Fulton Bank are allowed to
get away with this?
6. What about all of the damages I suffered due to this scandal?
7. What about my attorney fees?

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I cannot accept the contents of my 3 Safety Deposit Boxes knowing the risk to theft;
vandalism; and the like that exits.
This is what I must request from Fulton Financial Corporation, or FFC, and Fulton Bank:
1. Fulton Financial Corporation (FFC) and Fulton Bank adhere to the agreements signed
and executed for the three (3) safety deposit boxes and demand that those
agreements are continued without interruption. FFC is maliciously motivated to place the
security of the contents of the safety deposit boxes in harms way, which no other location
could afford such security for the Petitioner's. In the event the contents are lost or stolen, all
the defendant's would instantaneously become unjustly enriched due to the adverse
consequences the Petitioner's would suffer without the legal files required for current or
pending litigation. I am also in desperate need of the cash assets to sustain the basic
necessities and to continue it's current litigation and criminal prosecution of the perpetrators of
crimes already outlined in other court documents.
2. I am also seeking assurances that the safety deposit boxes were not opened and
3. All court related evidence was not tampered with, if not then financial sanctions should
be imposed and

4. Summary judgment should be granted to I with regards to all previous litigation involving
Fulton Financial and or Fulton Bank as named parties.
If not the above, then I must request the following:
1. The safe return of all of the contents of my safety deposit box contents to 1250 Fremont
Street after the following have been executed and completed:

2. The purchase of a safe from Russell Locksmith, Lancaster Pennsylvania, selected by


myself including delivery to store the contents of the 3 safety deposit boxes and future needs.

3. An agreement with installation and payment for a one-year period of a security


system at 1250 Fremont Street of an approved Security System and Monitoring Company.
4. The purchase of an insurance policy covering my contents at 1250 Fremont Street.

5. I request that FFC pay all attorney fees and court costs for all past litigation with the I
that began on May 16, 2005 with Case No. 05-2288 in the U.S. Court for the Eastern District of
Pennsylvania.

6. I request that FFC pay for the lost equity that resulted in the illegal Sheriff sale of
December 20, 2006 of the Petitioner's primary residence and home office at 220 Stone Hill
Road, Conestoga, Pennsylvania.
7. I request that FFC contract with a thrid party with the SUPERVISION of the I the
digitizing of all INFORMATION ASSETS to an acceptable electronic format that can be

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8. preserved for court related purposes and be filed as an Exhibit in Case No. 08-13373 in the
Lancaster County Court of Common Pleas.
9. I request that FFC open a money market account, or any other interest bearing account
for the deposit of funds by the I and a TRADING ACCOUNT for Day Trading (Petitioner
has more than 2 FULL years Experience) with the stipulation that any irregularities are
reported to the proper authorities.

Stan J. Caterbone
Advanced Media Group
scaterbone@live.com
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
http://www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup
www.advancedmediagroup.blogspot.com

Notice and Disclaimer: Stan J. Caterbone and the Advanced Media Group have been slandered, defamed, and publicly
discredited since 1987 due to going public (Whistle Blower) with allegations of misconduct and fraud within International Signal
& Control, Plc. of Lancaster, Pa. (ISC pleaded guilty to selling arms to Iraq via South Africa and a $1 Billion Fraud in 1992).
Unfortunately we are forced to defend our reputation and the truth without the aid of law enforcement and the media, which
would normally prosecute and expose public corruption. We utilize our communications to thwart further libelous and malicious
attacks on our person, our property, and our business. We continue our fight for justice through the Courts, and some
communications are a means of protecting our rights to continue our pursuit of justice. Advanced Media Group is also a
member of the media. Reply if you wish to be removed from our Contact List. How long can Lancaster County and Lancaster
City hide me and Continue to Cover-Up my Whistle Blowing of the ISC Scandel?
Summation: Due to the actions and criminal activity of the foregoing (see Criminal Indictment Page), it is reasonable to
prove that every aspect of the Complainant's life, Stan J. Caterbone, is subject to undo influence; harassment; torture;
obstruction; etc. This situation and set of circumstances as outlined here, and in the page "State of Affairs" and all previous
filings; reports; and statements, is a prescription for only one endgame - death or suicide. There is no life action or activity that
is immune from this horrendous HATE CRIME. The precedent and landmark elements that make this so appalling is that the
Complainant has never done anything to set these circumstances in motion but to be right regarding International Signal &
Control back in 1987; as well as many other proclamations and forecasts. That being said, it is also widely reported that many
Targeted Individuals and Victims of U.S. Sponsored Mind Control are lead to death and/or suicide. The Lancaster CommunityAt-Large is guilty of creating; abetting; fostering; and executing this tragedy. The fact that local; state; and federal law
enforcement induce and encourage this environment of hate is landmark.

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From: scarfley@barley.com
To: scaterbone@live.com; stancaterbone@gmail.com
CC: JBankert@fultonbank.com; SFollmer@fult.com
Date: Tue, 6 Apr 2010 10:17:00 -0400
Subject: Caterbone -- Fulton Bank Safety Deposit Boxes
Mr. Caterbone,
Please see the attached letter, a copy of which is also being sent to you via first class mail.
Stephanie
_____________________________________
Stephanie Carfley, Esquire
Partner
Barley Snyder LLC
[mailto:scarfley@barley.com]
126 East King Street
Lancaster, PA 17602-2893
Phone: (717) 399-1536
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Fulton Bank Collusion Letter

Page 17 of 48

Friday, April 29, 2016

Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 18 of 48

Fulton Bank Collusion Letter

Page 18 of 48

Friday, April 29, 2016

IN THE UNITED STATES DISTRICT COURT


FOR
THE EASTERN
OF PENNSYLVANIA
Case 5:15-cv-03984-JCJ
DocumentDISTRICT
46 Filed 04/29/16
Page 19 of 48
STANLEY J. CATERBONE

\LED

LANCASTER COUNTY PRISON, et a1 . . h i d 2 c!-/i

T h , c A ~ ? . 5 ~ ! ~9Je.,
. ~',2iI<

CIVIL ACTION

NO. 05-2288

I>ii '

cy/-

MEMORANDUM AND ORDER


The pro se plaintiff has made numerous allegations
against numerous defendants in his eighty-seven page complaint
The Court will dismiss the complaint as to moving defendants Mellon
Bank (named as "Commonwealth National Bank"), Manheim Township
Police Department, and Fulton Bank for failure to state a claim.
The Court will also dismiss the complaint as to non-moving
defendants Southern Regional Police Department, Stone Harbor Police
Department, AValOn Police Department, Lancaster County Prison and
Lancaster County Sheriff's Department for failure to serve the
complaint and summons.

I.

Failure to State a Claim


Each of the moving defendants has moved to dismiss on

the ground that the plaintiff has failed to state a timely claim.'
The United States Court of Appeals for the Third Circuit peh&K

ER

The pro se plaintiff has not opposed any @L&RB,-J~c


motions to dismiss. By letter to the Court dated March 2, 2006,
request filed March 6, 2006, and letter to the Court dated April 4,
2006, Fulton Bank, Manheim Township, and Mellon Bank respectively
requested that their motions be granted as uncontested, pursuant to
Local Rule of Civil Procedure 7.l(c). The United States Court of
Appeals for the ~ h i r dCircuit has indicated, however, that courts
should not grant motions to dismiss against unrepresented parties
without undertaking a merits analysis: stackhouse v. ~azu;kiewicz,
951 F.2d 29, 30 (3d Cir. 1991).
1

Fulton Bank Collusion Letter

Page 19 of 48

Friday, April 29, 2016

defendants to raise a statute of limitations defense in a motion to


Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 20 of 48

dismiss under Rule 12(b) (6) if the time-bar is apparent on the face
of the complaint. Robinson v. Johnson, 313 F.3d 128, 135 (3d Cir.
2002).

The plaintiff's eighty-seven page complaint contains


many allegations regarding numerous persons and entities. The
plaintiff's sole allegation against Mellon Bank/Commonwealth
National Bank, however, is that it wrongfully repossessed the
plaintiff's airplane in July 1987.'

According to the complaint,

the Bank loaned the plaintiff $97,000 towards the purchase of an


airplane in June 1987. The following month, before any payments
were due, the Bank allegedly repossessed the plane, with all of the
plaintiff's personal and business files on board.

The plaintiff

claims that the Bank sought to harm the plaintiff's business to


reduce its competition in the mortgage banking and financial
services businesses, in violation of the 'lender liability laws."
(compl. 25, 31, 34, 37, 83, 3.)

The plaintiff named "Commonwealth National Bank


(i.e. Mellon Bank)" as the defendant, but apparently attempted to
effect service by sending a copy of the complaint to "Legal
Counsel, Mellon Bank, N.A." (Doc. No. 8). According to Mellon
Bank, Mellon formerly owned Commonwealth National. For the
purposes of its current motion, Mellon accepted the plaintiff's
attribution of Commonwealth National's actions to Mellon.
(Mellon's Mot. to Dismiss Mem. at 1 n.1.)
I

The Court assumes that the plaintiff intended to name


Mellon Bank as a defendant for the actions of Commonwealth National
Bank, and will consider and grant Mellon Bank's motion to dismiss
as described. If the plaintiff intended to sue only Commonwealth
National Bank, however, the complaint would be dismissed as to
Fulton Bank Collusion
LetterBank for Page
20 of 48to effect service.
Friday, April 29, 2016
Commonwealth
National
failure

The plaintiff has not explicitly asserted any causes of


Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 21 of 48

action against the Bank.

Construing the allegations in the

complaint in the light most favorable to the plaintiff, however,


the plaintiff has arguably asserted claims against the Bank for
conversion, replevin, trespass, fraud, breach of fiduciary duty,

and/or breach of contract arising out of the alleged reposse~sion


Plaintiffs bringing any of these claims must do so
within two or four years. See 42 Pa. C.S. 5 5524(3) and

(7)

(imposing two year statute of limitations on any "action for


taking, detaining or injuring personal property, including actions
for specific recovery thereof,'' and "[alny other action or
proceeding to recover damages for injury to person or property
which is founded on negligent, intentional, or otherwise tortious
conduct or any other action or proceeding sounding in trespass,
including deceit or fraud"); Glaziers

&

Glassworkers Union Local

No. 252 Annuity Fund v. Newbridqe SeC., 93 F.3d 1171, 1186 (3d Cir.
1996) (a breach of fiduciary duty is tortious conduct, subject to a
two year statute of limitations); 42 Pa.C.S.

5525(a) (imposing

four year statute of limitations on actions based on written,


express, or implied contracts). The plaintiff initiated this
lawsuit in May 2005, over seventeen years after the alleged
repossession.

It is clear from the face of the complaint that the

plaintiff's claims against the Bank are time-barred.


When considering a motion to dismiss under Fed. R.
Civ. P. 12(b) (61, a court accepts all facts and allegations listed
in the complaint as true and construes them in the light most
favorable to the plaintiff. H.J. Inc. v. Nw. Bell Tel. Co., 492
U.S. 229, 249 (1989); Rocks v. City of ~hiladel~hia,
868 F.2d 644,
FultonCir.
Bank Collusion
Page 21 of 48
Friday, April 29, 2016
1989) .Letter
645 (3d
I

With respect to the Manheim Township Police Department,


Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 22 of 48

the plaintiff has alleged that: (11 when the plaintiff asked for
help regarding the repossession of his airplane in July 1987, the

Department's response was to ask "what bank branch repossessed your


aircraft"; (2) on or around September 3, 1987, Detective Larry
Sigler falsely charged the plaintiff with making terroristic
threats; (3) on the same day, after the plaintiff was arrested for
taking his own files from his own office, Detective Larry Mathias
refused to take his statement or inform him of the charges against

him, and unnamed officers used excessive force against him; and (4)
in January 1991, a Lt. Madenspacher called the plaintiff regarding
his letter to the Department of Defense about alleged blackmail
occurring in 1987, but failed to attend a scheduled meeting.
(Compl. at 5-6, 33, 39-40, 59.)
Again construing the allegations in the complaint in the
light most favorable to the plaintiff, he has arguably asserted:
(1) assault, battery, false imprisonment, false arrest, malicious

prosecution and/or malicious abuse of process claims arising out of


the charges and arrest in September 1987; and (2) civil rights
claims under 42 U.S.C. 5 1983, arising out of the Department's
actions or inactions in July and September 1987, and January 1991.
The plaintiff's claims against the Manheim Township
Police Department are also time-barred. Plaintiffs must bring any
claims for intentional torts such as assault, battery, false
imprisonment, false arrest, malicious prosecution and/or malicious
abuse of process within two years.

42 Pa. C.S.

5524(1).

Plaintiffs must also bring any 5 1983 civil rights claims within
Fulton Bank Collusion Letter

Page 22 of 48

Friday, April 29, 2016

two years.

Garvin v. Citv of Philadel~hia,354 F.3d 215, 220 (3d

Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 23 of 48

Cir. 2003) ( 1 1983 claims are subject to Pennsylvania's two statute


of limitations governing personal injury actions). The plaintiff
initiated this lawsuit more than fourteen years after his last
alleged interaction with the Manheim Township Police Department.'

Finally, the plaintiff has alleged that Fulton Bank: (1)


was involved in some sort of collusion in 1987;

(2)

embezzled

$5,000 from his checking account in 1990, did not credit the
account for more than 60 days, and never credited the lost interest
income; and ( 3 ) refused to allow the plaintiff's brother, Thomas
Caterbone, to deposit a check in 1996, on the grounds that no funds
were available, and was therefore responsible for his
suicide/wrongful death later that year.

The plaintiff has also

alleged that, in February 2005: ( a ) he had difficulty accessing


certain account statements and was told that he had to pay for
copies of those statements; and (b) a bank customer representative
informed him that when a customer wants to deposit a check for
which no funds are available, the bank must give the customer a
choice between depositing the check or waiting until there are
funds. Finally, the plaintiff has included in his complaint what
appears to be a May 6, 2005 article from the Intelligencer Journal
that names Fulton Bank as a limited partner in Penn Square
Partners, an alleged stakeholder in a proposed Lancaster County
Convention Center.

(Compl. at 6 ( a ) , 55-56, 80-81, 86.)

The complaint states that the plaintiff "rescinded


efforts for due process immediately after loosing [sic] his home
and business," but it also states that the plaintiff "began to
5 6 .April
)
review
his
case"
again
1990.
(Compl. at
Fulton
Bank
Collusion
Letter in October
Page 23
of 48
Friday,
29, 2016
4

The plaintiff has arguably asserted claims against


Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 24 of 48

Fulton Bank for: (1) breach of fiduciary duty, fraud, and/or unjust
enrichment, for its actions toward the plaintiff in 1990; and (2)
fraud or wrongful death, for its actions toward the plaintiff's
brother in 1996. These claims are time barred as well. As
explained above, there is a two-year statute of limitations on
actions for breach of fiduciary duty or fraud. 42 Pa. C.S. $3
5524(3) and (7). There is a four-year statute of limitations on

unjust enrichment, which is a quasi-contractual claim. 42 Pa. C.S.

5525(4).

Finally, there is a two-year statue of limitations on

actions for wrongful death.

42 Pa. C.S. S 5524(2).

The plaintiff's reference to "collusion in 1987" on the


part of Fulton Bank is too vague to state a claim for anything,
even under the liberal notice pleading standards. Likewise, the
plaintiff's allegations regarding his ability to access certain
account statements in February 2005 does not state any recognizable
claim. The plaintiff does not allege that it was illegal for
Fulton Bank to charge to copies of account statements, or
fraudulent for Fulton Bank to say that it charged. The plaintiff
states only that he found the charge "disheartening," in light of
the non-profit status of the account holder.

(Compl. at 81.)

Similarly, the plaintiff's allegations regarding Fulton Bank's


policy on depositing checks with insufficient funds, and its status
as a limited partner in Penn Square Partners, do not state any
claim of wrongdoing against Fulton Bank.

Fulton Bank Collusion Letter

Page 24 of 48

Friday, April 29, 2016

Failure to Serve the Comolaint

11.

Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 25 of 48

The Court will also dismiss the complaint as to the non

moving defendants because the plaintiff has failed to properly

serve the complaint and summons, and has therefore failed to compl)
with the Court's January

5,

2006 Order.

The plaintiff bears the

burden of showing that service was valid.

Grand Entertainment

Grouw, Ltd. v. Star Media Sales, Inc., 988 F.2d 476, 488 (3d Cir.
1993).
The plaintiff has not submitted any evidence that he
attempted to serve the Southern Regional Police Department.
For each of the other defendants, the plaintiff filed a

"Certificate of Service," certifying that the plaintiff mailed "the


foregoing pleadingn to certain a named or unnamed individual(s)
associated with the defendant, via certified mail.

The plaintiff's

attempts at service were improper as to the Lancaster County


(Pennsylvania) Prison and Sheriff's Department, and the Stone
Harbor and Avalon (New Jersey) Police department^.^

Each of these

defendants is an arm of a governmental organization.


Rule 4(j) (2) of the Federal Rules of Civil Procedure
provides :
Service upon a state, municipal corporation or other
governmental organization subject to suit shall be
effected by deliverinq a copy of the summons and of the
complaint to its chief executive officer or by serving
the summons and complaint in the manner prescribed bv

Mellon Bank, Manheim Township Police Department,


and Fulton Bank also moved to dismiss for improper service.
Because the Court is dismissing the complaint as against them for
failure to state a claim, the Court need not decide the sufficiency
Fulton Bank
Letter defendants.
Page 25 of 48
Friday, April 29, 2016
of service
asCollusion
to these
5

the law of that state for the service of summons or


other
like process
upon46any
such
defendant.
Case 5:15-cv-03984-JCJ
Document
Filed
04/29/16
Page 26 of 48
Fed. R. Civ. P. 4 (j) (2)(emphasis added) .

Rule 422(b) of the Pennsylvania Rules of Civil Procedure


provides :

Service of original process upon a political subdivision


shall be made by handins a cowv to
(1) an agent duly authorized by the political
subdivision to receive service of process, or
(2) the person in charge at the office of the
defendant,
(3) the mayor, or the president, chairman, secretary or
clerk of the tax levying body thereof . . . .
Pa. R. Civ. 0. 422(b) (emphasis added)
Here, the plaintiff attempted to serve the Lancaster
County Prison and Sheriff's Department by mailing a copy of the
complaint to Howard L. Kelin at Kegel, Kelin, Almy
Lancaster, Pennsylvania.'

&

Grimm, LLP in

The plaintiff's attempt at service was

improper under the federal and Pennsylvania rules of civil


procedure because a copy of the complaint and summons were not
personally served upon an appropriate person.
The New Jersey Court Rules also provide that the primary
method of obtaining in personam jurisdiction over a 'public bodyu
defendant is to personally serve a copy of the summons and
complaint on the public body's presiding officer, clerk or
secretary, or on a person authorized by appointment or by law to
receive service of process on the public body's behalf. N.J. Court

By letter dated February 2, 2006 (on which the


plaintiff was cc'd), Mr. Kelin informed the Court that he had been
appointed Interim Special Counsel to Lancaster County, but was not
Fulton Bank
Letter
Page 26 of
48
Friday, April 29, 2016
an agent
dulyCollusion
authorized
to receive
service
of process.
6

R. 4 :4-4(a)(1) and (8). New Jersey permits plaintiffs to make


Case 5:15-cv-03984-JCJ Document 46 Filed 04/29/16 Page 27 of 48
service by mail, but provides that service by mail is only

effective if the defendant answers the complaint or otherwise


appears in response thereto.

If defendant does not answer or

appear within 60 days following mailed service, the plaintiff must


make personal service. N.J. Court R. 4:4-4(c).
The plaintiff attempted to serve the Stone Harbor Police
Department by mailing the complaint to Michael Donahue, an attorney
at law in Stone Harbor, New Jersey, on January 17, 2006.

The

plaintiff also attempted to serve the Avalon Police Department by


mailing the complaint to Stephen Basse, an attorney at law in
Vineland, New Jersey, on that date.

The plaintiff's attempts to

make service by mail were ineffective under federal or New Jersey


law because neither the Stone Harbor or Avalon Police Departments
have answered or otherwise responded to the complaint in well over
60

days.

Moreover, the plaintiff has not shown that Mr. Donahue or

Mr. Basse are the appropriate persons to receive service for these
public bodies.

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Fulton Bank Collusion Letter

Advanced Media Group

Page 42 of 48
Page 11 of 14

Friday, April 29, 2016

January 25, 2008

Case
Case5:15-cv-03984-JCJ
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48

Stan J. Caterbone
ADVANCED MEDIA GROUP

Freedom From Covert Harassment & Surveillance,


Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

April 20, 2016

Stan J. Caterbone/Advanced Media Group Biography


Present - Advanced Media Group, President, Owner, and Founder.
In 1987 I became a federal whistleblower for the case of local defense contractor International Signal
and Control, or ISC. ISC was a black ops program for the NSA and CIA that was convicted in 1992 for
an elaborate scheme to arm Iraq and other Middle Eastern countries with a broad array of weapons,
most notably cluster bombs. It was the third larges fraud in U.S. History at that time. I have been a
victim of organized stalking since 1987 and a victim of electronic and direct energy weapons since 2005.
I had also been telepathic since 2005. In 2005 the U.S. Sponsored Mind Control turned into an all-out
assault of mental telepathy; synthetic telepathy; hacking of all electronic devices; vandilism and thefts
of personal property, extortions, intellectual property violations, obstruction of justice; violations of due
process; thefts and modifications of court documents; and pain and torture through the use of directed
energy devices and weapons that usually fire a low frequency electromagnetic energy at the targeted
victim. This assault was no coincidence in that it began simultaneously with the filing of the federal
action in U.S. District Court, or CATERBONE v. Lancaster County Prison, et. al., or 05-cv-2288. This
assault began after the handlers remotely trained/sychronized Stan J. Caterbone with mental telepathy.
The main difference opposed to most other victims of this technology is that I am connected 24/7 with
the same person who declares telepathically she is a known celebrity. Over the course of 10 years I
have been telepathic with at least 20 known persons and have spent 10 years trying to validate and
confirm their identities without success. Most U.S. intelligence agencies refuse to cooperate, and the
Federal Bureau of Investigation and the U.S. Attorney's Office refuse to comment and act on the
numerous formal complaints that are filed in their respective offices. Most complaints are focused on
the routine victimization's of a targeted individual including but not limited to stalking, harassment,
threats, vandalism, thefts, extortion, burglaries, false imprisonments, fabricated mental health warrants
or involuntary commitments, pain and torture to the body, and most often the cause of obstruction of
justice is the computer hacking.
I have a very sophisticated and authentic library of evidence of the use of U.S. Sponsored Mind Control
technologies on my father and brother that dates back to the 1940's while my father was in the U.S.
Navy after he graduated with honors from Air Gunners School in Florida, including an affidavit motorized
and authenticated by my father in 1996. My brother served in the U.S. Air force and was victim to LSD
experiments of the infamous MKULTRA program in the late 1960's.
In 2015 I filed an amicus curie on behalf of Lisa Michelle Lambert who was convicted in 1992 of the
murder of Laurie Show, both of Lancaster, Pennsylvania. I currently am in litigation in the U.S. Third
Circuit Court of Appeals and in February of 2016 Lisa Michelle Lambert published her book titled
Corruption in Lancaster County My Story, which is available in bookstores and on Amazon.com. I
am in frequent contact with her co-author, Dave Brown of Philadelphia, Pennsylvania.

Stan J.Bank
Fulton
Caterbone/Advanced
Collusion Letter Media Group Biography Page 43
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In 2009 I Proposed an ORGANIZED STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT BILL
to Pennsylvania House of Representative Mike Sturla (Lancaster, Pennsylvania) and City of Lancaster
Mayor Richard Gray in 2009. The draft legislation is the work of Missouri House of Representative Jim
Guest, who has been working on helping victims of these horrendous crimes for years. The bill will
provide protections to individuals who are being harassed, stalked, harmed by surveillance, and
assaulted; as well as protections to keep individuals from becoming human research subjects, tortured,
and killed by electronic frequency devices, directed energy devices, implants, and directed energy
weapons. I again reintroduced the bill to the Pennsylvania General Assembly in 2015 and frequented
the Pennsylvania Capitol trying to find support and a sponsor; which I still do to this day.
In 2006 I began his role as an Activist Shareholder for Fulton Financial, which is listed as "FULT" on the
NASDAQ stock exchange. As a founder of Financial Management Group, Ltd., a full service financial firm,
Stan J. Caterbone has drawn upon the success in developing the strategic vision for his company and
the experience gained in directing the legal affairs and public offering efforts in dealing with Fulton
Financial. I have been in recent discussions with the Fulton Financial Board of Directors with regards to
various complaints dealing with such issues as the Resource Bank acquisition and the subprime failures.
I believe that Fulton Financial needs management to become more aggressive in it's strategic planning
and the performance it expects from it's management team in order to increase shareholder value.
Expanding the footprint of the regional bank has not yielded an increase to the bottom line that is
consistent with the expectations of shareholders. Lancaster County has seen several local banking
institutions acquired by larger regional banks, thus increasing the competition Fulton Financial will see in
it's local marketplace as well as in it's regional footprint.
In 2005 I, as a Pro Se Litigant filed several civil actions as Plaintiffs that are in current litigation in the
United States District Court for the Eastern District of Pennsylvania, the United States Third District
Court of Appeals, the Pennsylvania Supreme Court, The Pennsylvania Superior Court, the
Commonwealth Court of Pennsylvania, The Court of Common Pleas of Lancaster County, Pennsylvania.
These litigations include violations of intellectual property rights, anti-trust violations, and interference
of contracts relating to several business interests. Central to this litigation is the Digital Movie, Digital
Technologies, Financial Management Group, Ltd,/FMG Advisory, Ltd., and its affiliated businesses along
with a Federal False Claims Act or Federal Whistleblowers Act regarding the firm of International Signal
and Control, Plc., (ISC) the $1Billion Dollar Fraud and the Export violations of selling arms to South
Africa and Iraq. This litigation dates back to 1987. Stan J. Caterbone was a shareholder of ISC, and was
solicited by ISC executives for professional services. The Federal False Claims Act is currently part of
RICO Civil Complaint in the United States District Court for the Eastern District of Pennsylvania and the
Third Circuit Court of Appeals, as docket no. 05-2288.
In 2005 Advanced Media Group/Project Hope filed a Civil Action in the Court of Common Pleas of
Lancaster County against Drew Anthon and the Eden Resort Inn for their attempts to withhold the
Tourism Tax and Hotel Tax that supports the Downtown Lancaster Convention Center & Marriot. We also
proposed an alternative plan to move the Convention Center to the Hotel Brunswick and Lancaster
Square to all of the major stakeholders. The Lancaster County Convention Center is finally under
construction with a March 2009 Opening date.
In 2005 I was selected to attend the Clinton Global Initiative in New York City after submission of
an essay with and application. I received the invitation from Bruce R. Lindsey, Chief Executive Officer of
the William J. Clinton Foundation.
In 2005 I began our philanthropic endeavors by spending our energies and working with such
organizations as; ONE.org, Livestrong.org, WoundedWarriors.org, The Clinton Global Initiative,
Lancaster Convention Center Authority, Lancaster Chamber of Commerce, Toms Project Hope, People to
People International, GlobalWarming.org, Contact Lancaster/24 Hour Suicide Hotline, Schreiber Pediatric
Center, and numerous others.

Stan J.Bank
Fulton
Caterbone/Advanced
Collusion Letter Media Group Biography Page 44
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In 2004 I embarked on our past endeavors in the music and entertainment industries with an emphasis
on assisting for the fair and equitable distribution of artists rights and royalties in the fight against
electronic piracy. We have attempted to assist in developing new business models to address the
convergence of physical and electronic mediums; as it displaces royalties and revenues for those
creating, promoting, and delivering a range of entertainment content via wireless networks.
In 2000 to 2002 I developed an array of marketing and communication tools for wholesalers of the
AIM Investment Group and managed several communication programs for several of the company
wholesalers throughout the United States and Costa Rica. We also began a Day Trading project that
lasted until 2004 with success.
In 1999 I developed a comprehensive business plan to develop the former Sprecher Brewery, known as
the Excelsior Building on E. King Street, in Lancaster, Pennsylvania. This plan was developed in
conjunction with the Comprehensive Economic Development Plan for the Revitalization of Downtown
Lancaster and the Downtown Lancaster Convention Center for the former Watt & Shand building.
In 1999 I contributed to the debate, research, and implementation of strategies to counter the effects
of the global Y2K threat to the worlds computer technologies. I attended the U.S. Sponsored Y2K
symposium and Conference in Washington, D.C. hosted by the Senate Y2K Subcommittee and Senator
William Bennett.
In 1998 I had began to administer the charity giving of Toms Project Hope, a non-profit organization
promoting education and awareness for mental illness and suicide prevention. We had provided funding
for the Mental Health Alliance of Lancaster County, Contact Lancaster (The 24/7 Suicide Prevention
Hotline), The Schreiber Pediatric Center, and other charitable organizations and faith based charities.
The video "Numbers Don't Lie" have been distributed to schools, non profit organizations, faith based
initiatives, and municipalities to provide educational support for the prevention of suicide and to bring
awareness to mental illness problems.
In 1996 I had done consulting for companies under KAL, Inc., during the time that I was controller of
Pflumm Contractors, Inc., I was retained by Gallo Rosso Restaurant and Bar to computerized their
accounting and records management from top to bottom. I had also provided consulting for the
computerization of accounting and payroll for Lancaster Container, Inc., of Washington Boro. I was
retained to evaluate and develop an action plan to migrate the Informations Technologies of the Jay
Group, formally of Ronks, PA, now relocated to a new $26 Million Dollar headquarters located in West
Hempfield Township of Lancaster County. The Jay Group had been using IBM mainframe technologies
hosted by the AS 400 computer and server. I was consulting on the merits of migrating to a PC based
real time networking system throughout the entire organization. Currently the Jay Group employees
some 500 employees with revenues in excess of $50 Million Dollars per year.
In 1993 I was retained by Pflumm Contractors, Inc., as controller, and was responsible for saving the
company from a potential bankruptcy. At that time, due to several unpaid contracts, the company was
facing extreme pressure from lenders and the bonding insurance company. We were responsible for
implementing computerized accounting, accounting and contract policies and procedures, human
resource policies and procedures, marketing strategies, performance measurement reporting, and
negotiate for the payment of unpaid contracts. The bonding company was especially problematic, since
it was the lifeline to continue work and bidding for public contracts. The Bank of Lancaster County
demanded a complete accounting of the operations in order to stave off a default on the notes and loans
it was holding. We essentially revamped the entire operation. Within 3 years, the company realized an
increase in profits of 3 to 4 times its previous years, and record revenues.

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In 1991 I was elected to People to People International and the Citizen Ambassador Program, which
was founded by President Dwight D. Eisenhower in 1956. The program was founded to To give
specialists from throughout the world greater opportunities to work together and effectively
communicate with peers, The Citizen Ambassador program administers face-to-face scientific, technical,
and professional exchanges throughout the world. In 1961, under President John F. Kennedy, the State
Department established a non-profit private foundation to administer the program. We were scheduled
to tour the Soviet Union and Eastern Europe to discuss printing and publishing technologies with
scientists and technicians around the world.
In 1990 I had worked on developing voice recognition systems for the governments technology think
tank - NIST (National Institute for Standards & Technology). I co-authored the article Escaping the Unix
Tar Pit with a scientist from NIST that was published in the magazine DISC, then one of the leading
publications for the CD-ROM industry. Today, most all call centers deploy that technology whenever you
call an 800 number, and voice recognition is prevalent in all types of applications involving
telecommunications.
In 1989 I had founded Advanced Media Group, Ltd., and was one of only 5 or 6 U.S. domestic
companies that had the capability to manufacture CD-ROM's. We did business with commercial
companies, government agencies, educational institutions, and foreign companies. I performed services
and contracts for the Department of Defense, NASA, National Institution of Standards & Technology
(NIST), Department of Defense, The Defense Advanced Research Projects Agency (DARPA), and the
Defense Mapping Agency, Central Intelligence Agency, (CIA), IBM, Microsoft, AMP, Commodore
Computers, American Bankers Bond Buyers, and a host of others. I also was working with R.R,
Donnelly's Geo Systems, which was developing various interactive mapping technologies, which is now a
major asset of Map Quest. Map Quest is the premier provider of mapping software and applications for
the internet and is often used in delivering maps and directions for Fortune 500 companies. We had
arranged for High Industries to sell American Helix, the manufacturer of compact discs, to R.R. Donnelly.
We had brokered a deal and the executives from Donnellys Chicago headquarters flew to Lancaster to
discuss the deal and perform due diligence of the manufacturing facility located in the Greenfield
Industrial Park.
In 1987 Power Station Studios of New York and Tony Bongiovi retained me as executive producer
of a motion picture project. The theatrical and video release was to be delivered in a digital format; the
first of its kind. We had originated the marketing for the technology, and created the concept for the
Power Station Digital Movie System (PSDMS), which would follow the copyright and marketing formula
of the DOLBY technology trademark.
We had also created and developed marketing and patent research for the development and
commercialization of equipment that we intended to manufacture and market to the recording industry
featuring the digital technology. Sidel, Gonda, Goldhammer, and Abbot, P.C. of Philadelphia was the lead
patent law firm that We had retained for the project. Power Station Studios was the brainchild of Tony
Bongiovi, a leading engineering genius discovered by Motown when he was 15. Tony and Power Station
Studios was one of the leading recording studios in the country, and were responsible for developing Bon
Jovi, a cousin. Power Station Studios clients included; Bruce Springsteen, Diana Ross, Cyndi Lauper,
Talking Heads, Madonna, The Ramones, Steve Winwood, and many others. Tony and Power Station
Studios had produced the original Sound Track for the original Star Wars motion picture. It was
released for distribution and was the number one Sound Track recording of its time.
Tony Bongiovi was also active in working and researching different aerospace technologies. * We had
developed and authored a Joint Venture Proposal for SONY to partner with us in delivering the Digital
Movie and its related technologies to the marketplace. The venture was to include the commercialization
of technologies, which Tony Bongiovi had developed for the recording industry simultaneously with the
release of the Digital Movie.

Stan J.Bank
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I also created the concept for the PSDMS trademark, which was to be the Trademark logo for the
technology, similar to the DOLBY sound systems trademark. The acronyms stand for the Power Station
Digital Movie System. Today, DVD is the mainstay for delivering digital movies on a portable medium, a
compact disc.
In 1987 I had a created and developed FMG Mortgage Banking, a company that was funded by a major
banking firm in Houston Texas. We had the capability to finance projects from $3 to $100 million dollars.
Our terms and rates were so attractive that we had quickly received solicitations from developers across
the country. We were also very attractive to companies that wanted to raise capital that include both
debt and equity. Through my company, FMG, we could raise equity funding through private placements,
and debt funding through FMG Mortgage Banking. We were retained by Gamillion Studios of Hollywood,
California to secure financing of their postproduction Film Studio that was looking to relocate to North
Carolina. We had secured refinancing packages for Norris Boyd of and the Olde Hickory and were in the
midst of replacing the current loan that was with Commonwealth National Bank. We had meetings and
discussions with Drew Anton of the Eden Resort, for refinancing a portion of his debt portfolio. We were
quickly seeking commitments for real estate deals from New York to California. We also had a number of
other prominent local developers seeking our competitive funding, including Owen Kugal, High
Industries, and the Marty Sponougle a partner of The Fisher Group (owner of the Rt. 30 Outlets). We
were constantly told that our financing packages were more competitive than local institutions.
In 1986 I had founded Financial Management Group, Ltd (FMG); a large financial services organization
comprised of a variety of professionals operating in one location. We had developed a stock purchase
program for where everyone had the opportunity for equity ownership in the new firm. FMG had
financial planners, investment managers, accountants, attorneys, realtors, liability insurance services,
tax preparers, and estate planners operating out of our corporate headquarters in Lancaster. In one
year, we had 24 people on staff, had approximately 12 offices in Pennsylvania, and
several satellite offices in other states. We had in excess of $50 million under management, and our
advisors were generating almost $4 million of commissions, which did not include the fees from the
other professionals. We had acquired our own Broker Dealer firm and were valued at about $3 to $4
million.
In 1985 I developed the Easter Regional Free Agent Camp, the first Free Agent Camp for the
Professional Football industry; which was videotaped for distribution to the teams scouting departments.
(See Washington Post page article of March 24, 1985) Current camps were dependant on the team
scouts to travel from state to state looking for recruits. We had developed a strategy of video taping the
camp and the distributing a copy, free of charge to the teams, to all of the scouting departments for
teams in all three leagues FL, CFL and WFL. My brother was signed at that camp by the Ottawa
Roughriders of the CFL, and went on to be a leading receiver while J.C. Watts was one of the leagues
most prominent quarterbacks. My brother also played 2 years with the Miami Dolphins while Dan Marino
was starting quarterback. We were a Certified Agent for the National Football League Players
Association. Gene Upshaw, the President of the NFLPA had given me some helpful hints for my camp,
while we were at a Conference for agents of the NFL. The Washington Post wrote a full-page article
about our camp and associated it with other camps that were questionable about their practices.
Actually, that was the very reason for our camp. We had attended many other camps around the
country that were not very well organized and attracted few if any scouts. We had about 60 participants,
with one player coming from as far away as Hawaii. We held the camp at Lancaster Catholic, with a
professional production company filming the entire camp, while I did the editing and produced the video.
The well respected and widely acclaimed professional football scout, Gil Brandt, of the Dallas Cowboys,
had given me support for my camp during some conversations We had with him and said he looked
forward to reviewing the tapes for any hopeful recruits.

Stan J.Bank
Fulton
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In 1985 I was elected Vice President of the Central Pennsylvania Chapter of the International
Association of Financial Planners, and helped build that chapter by increasing membership 3to 4 times.
We had personally retained the nationally acclaimed and nationally syndicated Financial Planner, Ms.
Alexandria Armstrong of Washington D.C.; to host a major fundraiser. More than 150 professionals
attended the dinner event that was held at the Eden Resort & Conference Center. Ms. Armstrong
discussed financial planning and how all of the professions needed to work together in order to be most
effective for their clients. We attracted a wide variety of professionals including; brokers, lawyers,
accountants, realtors, tax specialists, estate planners, bankers, and investment advisors. Today, it has
become evident that financial planning was the way of the future. In 1986 executives approached us
from Blue Ball National Bank to help them develop a Financial Planning department within their bank.
In 1984 I had helped to develop strategic planning for Sandy Weill, former President of Citi Group (the
largest banking entity in the U.S). We were one of several associates asked to help advise on the future
of Financial Planning and how it would impact the brokerage and the investment industry at large. Mr.
Weil was performing due diligence for the merger of American Express and IDS (Investors Diversified
Services). We were at that time a national leader in the company in delivering Fee Based Financial
Planning Services, which was a new concept in the investment community and mainstream investors.
That concept is now widely held by most investment advisers.
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
Freedom From Covert Harassment & Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

ACTIVE COURT CASES


J.C. No. 03-16-90005 Office of the Circuit Executive, United States Third Circuit Court of
Appeals - COMPLAINT OF JUDICIALMISCONDUCT OR DISABILITY re 15-3400 and 16-1149
U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149;15-3400; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 15-03984; 14-02559; 05-2288; 06-4650
Superior Court of Pennsylvania Case No. 1561 MDA 2015; 1519 MDA 2015
Lancaster County Court of Common Pleas Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 16-10157

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Fulton
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