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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

SUPERIOR COURT OF PENNSYLVANIA


IN RE:

:
COMMONWEALTH OF PENNSYLVANIA :
v.

Docket Number: 3575 EDA 2016


Lower Court Docket CP-46-CR-0006239-2015

KATHLEEN KANE

EXHIBIT IN SUPPORT OF THE AMICUS BRIEF


DVD TITLED 16-cv-4014 AMENDED COMPLAINT DVD
Rule 531. Participation by Amicus Curiae.
(a) Briefs.Anyone interested in the questions involved in any matter pending in an appellate court,
excluding Petitions for Allowance of Appeal, although not a party, may, without applying for leave to
do so, file a brief amicus curiae in regard to those questions.
(1) Unless otherwise ordered by the court, any amicus curiae shall file and serve its brief in the
manner and number required and within the time allowed by these rules with respect to the party
whose position as to affirm and or reversal the amicus brief will support, or with respect to the
appellant, if the amicus brief does not support the position of any party.
(2) In an appeal proceeding under Rules 2154(b), 2185(c) and 2187(b), any amicus curiae shall file
and serve its brief within the time allowed by these rules for service of the advance text of the brief
by the party whose position as to affirm and or reversal the amicus brief will support or, if the amicus
brief does not support the position of any party, within the time allowed by these rules for service of
the advance text by the appellant. Alternatively, the amicus curiae may, but is not required to, serve
an advance text and then file and serve a definitive copy of its brief. If the amicus curiae chooses to
serve an advance copy and then file and serve a definitive copy, its deadlines for each are the same
as for the party whose position as to affirm and or reversal the amicus brief supports or, if the
3575 EDA 2016 - AMICUS EXHIBIT

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Wednesday January 18, 2017

amicus brief does not support the position of any party, as for the appellant.
(b) Oral argument.Oral argument may be presented by amicus curiae only as the appellate court
may direct. Requests for leave to present oral argument shall be by application and will be granted
only for extraordinary reasons.
Official Note
Where the amicus cannot comply with the requirements of this rule because of ignorance of the
pendency of the question, relief may be sought under Rule 105(b). The last eight words of the rule
are new. In Piccirilli Bros. v. Lewis, 282 Pa. 328, 336, 127 Atl. 832, 835 (1925) the court noted the
applicability of this rule to public officers who are represented by official counsel with an adverse
position.
The 2011 amendment to the rule clarified when those filing amicus curiae briefs should serve and file
their briefs when the appellant has chosen or the parties have been directed to proceed under the
rules related to large records (Rule 2154(b)), advance text (Rule 2187(b)) and definitive copies (Rule
2185(c)). Under those rules, the appellant may defer preparation of the reproduced record until after
the briefs have been served. The parties serve on one another (but do not file) advance texts of their
briefs within the times required by Rule 2187. At the time they file their advance texts, each party
includes certified record designations for inclusion in the reproduced record. The appellant must then
prepare and file the reproduced record within 21 days of service of the appellees advance text (Rule
2186(a)(2)). Within 14 days of the filing of the reproduced record, each party that served a brief in
advance text may file and serve definitive copies of their briefs. The definitive copy must include
references to the pages of the reproduced record, but it may not otherwise include changes from the
advance text other than correction of typographical errors. Those filing amicus curiae briefs may
choose to serve an advance text and then file and serve definitive copies according to the procedure
required of the parties or they may choose to file a definitive brief without citations to the reproduced
record.
January 18, 2017
Respectfully,
____________/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
stancaterbone@gmail.com
717-528-2200
3575 EDA 2016 - AMICUS EXHIBIT

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Wednesday January 18, 2017

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 (And the Torture from U.S. Sponsored Mind Control)?

ACTIVE COURT CASES


1. 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; 03-16-900046 re
ALL FEDERAL LITIGATION TO DATE
2. U.S. Supreme Court Case No. 16-6822 PETITION FOR WRIT OF CERTIORARI re Case No. 16-1149
MOVANT for Lisa Michelle Lambert
3. U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149 MOVANT for Lisa Michelle Lambert;15-3400
MOVANT for Lisa Michelle Lambert;; 16-1001; 07-4474
4. U.S. District Court Eastern District of PA Case No. 16-cv-49; 15-03984; 14-02559 MOVANT for Lisa
Michelle Lambert; 05-2288; 06-4650, 08-02982;
5. U.S. District Court Middle District of PA Case No. 16-cv-1325 PRELIMINARY INJUNCTION FOR
EMERGENCY RELIEF; Case No. 16-cv-1751 PETITION FOR HABEUS CORPUS
6. Commonwealth of Pennsylvania Judicial Conduct Board Case No. 2016-462 Complaint against
Lancaster County Court of Common Pleas Judge Leonard Brown III
7. Pennsylvania Supreme Court Case No. 353 MT 2016; 354 MT 2016; 108 MM 2016 Amicus for Kathleen
Kane
8. Superior Court of Pennsylvania Summary Appeal Case No. CP-36-SA-0000219-2016, AMICUS for
Kathleen Kane Case No. 1164 EDA 2016; Case No. 1561 MDA 2015; 1519 MDA 2015; 16-1219
Preliminary Injunction Case of 2016
9. Lancaster County Court of Common Pleas Case No. 08-13373; 15-10167; 06-03349, CI-06-03401

10. U.S. Bankruptcy Court for The Eastern District of Pennsylvania

3575 EDA 2016 - AMICUS EXHIBIT

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Case No. 16-10157

Wednesday January 18, 2017

I hereby certify that on or about January 18, 2017 SERVICE VIA USPS REGULAR OR
PRIORITY MAIL WAS SENT TO THE FOLLOWING:
Lock, Joshua D.
Law Firm: Goldberg Katzman, P.C.
Address: Goldberg Katzman PC
4250 Crums Mill Rd Ste 301
Harrisburg, PA 17112-2889
Phone No: (717) 234-4161
Served: Kevin R. Steele
Service Method: Email
Email: ksteele@montcopa.org
Service Date: July 13, 2016
Address:
Phone: 610-278-3098
Representing: Appellee Commonwealth of Pennsylvania

DATE: JANUARY 18, 2017


____________/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
stancaterbone@gmail.com
717-528-2200

3575 EDA 2016 - AMICUS EXHIBIT

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Wednesday January 18, 2017