Anda di halaman 1dari 121

STAN J.

CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Stan J. Caterbone
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

COMMONWEALTH COURT OF PENNSYLVANIA

CIVIL ACTION LAW


___________________________________________________________

STAN J. CATERBONE Case No. _________________


ADVANCED MEDIA GROUP,
PETITIONERS
V.

PENNSYLVANIA DEPARTMENT OF HUMAN SERVICES


LANCASTER COUNTY ASSISTANCE OFFICE, CAO
MS. ASENCIO, LANCASTER CAO OF PA Dept of HUMAN SERVICES
DEFENDANTS

PRELIMINARY INJUNCTION FOR EMERGENCY RELIEF


re APPLICATION FOR SNAP BENEFITS (FOOD STAMPS)
___________________________________________________________
CASH POSITION TODAY, AUGUST 14, 2017 - $24.00

TO THE PROTHONOTARY:

AND NOW, on this 14th day of August, 2017 I, STAN J. CATERBONE and ADVANCED
MEDIA GROUP, Plaintiff's, appearing pro se, and In Forma Pauperis, do hereby file a Preliminary
Emergency Injunction for Relief according to Pa. R. Civ. P. 1531(a) on this 14th day of August 2017. In
determining whether a preliminary or special injunction should be granted and whether notice or a
hearing should be required, the court may act on the basis of the averments of the pleadings or petition
and may consider affidavits of parties or third persons or any other proof which the court may require.
Pa. R. Civ. P. 1531(a). The decision whether or not to grant a hearing on an emergency injunction is
therefore left to the sound discretion of the court; the mere filing of a motion by the plaintiff does not
automatically entitle him to a hearing.

Pursuant to Pa.R.C.P. 126 Liberal Construction and Application of Rules, which states
"the rules shall be liberally construed to secure the just, speedy and inexpensive determination of every
action or proceeding to which they are applicable. The court at every stage of any such action or
proceeding may disregard any error or defect of procedure which does not affect the substantial rights of
the parties.

ATTACHED HEREIN IS AN APPLICATION FOR IN FORMA PAUPERIS.

CATERBONE v. PA Dept. of Human Services Page No. 1 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

DATE: AUGUST 14, 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
717-327-1566

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 CASESACTIVE 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; 03-16-900046 re ALL FEDERAL LITIGATION TO
DATE
U.S. Supreme Court Case No. 16-6822 PETITION FOR WRIT OF CERTIORARI re Case No. 16-1149 MOVANT for Lisa
Michelle Lambert
U.S.C.A. Third Circuit Court of Appeals Case No. 16-3284; Case No. 16-1149 MOVANT for Lisa Michelle Lambert;15-
3400 MOVANT for Lisa Michelle Lambert;; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 17-01233 Chapter 11 Appeal for 17-10615; Case No. 17-0867
Preliminary Injunction from Middle District; Case No. 16-4014 CATERBONE v. United States, et.al.; Case No. 16-cv-
49; 15-03984; 14-02559 MOVANT for Lisa Michelle Lambert; 05-2288; 06-4650, 08-02982;
U.S. District Court Middle District of PA Case No. 16- 2513 INJUNCTION; Case No. 16-cv-1751 PETITION FOR
HABEUS CORPUS
Commonwealth of Pennsylvania Judicial Conduct Board Case No. 2016-462 Complaint against Lancaster County
Court of Common Pleas Judge Leonard Brown III
Pennsylvania Supreme Court Case No. 353 MT 2016; 354 MT 2016; 108 MM 2016 Amicus for Kathleen Kane
Superior Court of Pennsylvania 3575 EDA 2016 Amicus for Kathleen Kane; 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
Lancaster County Court of Common Pleas Case No. 16-05815 Injunction; Case No. 16-08472 INJUNCTION re Pain
Meds; Case No. 15-10167 Film Commission; Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 17-10615; Case No. 16-10157

CATERBONE v. PA Dept. of Human Services Page No. 2 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

PRELIMINARY INJUNCTION FOR EMERGENCY RELIEF


re APPLICATION FOR SNAP BENEFITS (FOOD STAMPS)
_____________________________________

1. On or about July 7, 2017 STAN J. CATERBONE, PETITIONER, visited the Lancaster County
Assistance Office and picked up an application for SNAP benefits.
2. The reason for the application for SANP BENEFITS is the fact that in June of 2015 the CASH
RESERVES of STAN J. CATERBONE, PETITIONER, were approximately $60,000.00, which is
evidenced in an APPLICATION FOR THE LANCASTER CITY HOMEOWNERS ASSISTANCE PROGRAM.
On July 11, 2017 the CASH RESERVES of STAN J. CATERBONE, PETITIONER, was only $800.00.
3. SINCE JUNE 23, 1987, (THE DAY THE WHISTLEBLOWING ACTIVITIES OF
INTERNATIONAL SIGNAL & CONTROL, PLC., OR ISC) THE LANCASTER COMMUNITY-AT-
LARGE HAS ENGAGED IN A STRATEGIC TACTIC OF THWARTING ALL EFFORTS OF
PETITIONER STAN J. CATERBONE'S ATTEMPT AT PROVIDING AND ENGAGING ANY AND
ALL EFFORTS AT PRODUCING AN INCOME FROM BUSINESS AND/OR EMPLOYMENT
ACTIVITIES. WHEN THE ATTEMPTS AT THWARTING THOSE ATTEMPTS AT INCOME
WOULD FAIL, AND PETITIONER STAN J. CATERBONE DID PRODUCE INCOME AND BUILD
UP CASH RESERVES, THROUGH THE PROCESS OF ELIMINATING THOSE VERY SAME
INCOME ACTIVITIES, COUPLED WITH VANDALISM; BURGLARIES, AND THE LIKE, THE
CASH RESERVES WOULD BE DEPLETED PAYING FOR NORMAL LIVING AND BUSINESS
EXPENDITURES. THIS CYCLE WENT FULL CIRCLE WITH BUILT-UP CASH RESERVES IN
1987, 1991, 1998, 2005, 2007, AND NOW 2017. A FULL AND COMPLETE AUDIT OF
BANK ACCOUNTS AND TRAILS OF CASHIERS CHECKS WILL PROVE THIS ILLEGAL AND
CRIMINAL PROGRAM. SEE THE MARCH 31, 2008 LETTER TO MIKE CATERBONE,
BROTHER OF PETITIONER STAN J. CATERBONE FOR EVIDENCE OF THIS PROGRAM.
4. IN 1987 THE NET WORTH OF PETITIONER STAN J. CATERBONE EXCEEDED $1MILLION
DOLLARS.
5. SINCE THE FILING OF CIVIL ACTIONS IN BOTH FEDERAL AND STATE COURTS SINCE
2005, PETITIONER STAN J. CATERBONE HAS EVIDENCED AND STATED FOR THE
RECORD THAT SUCH CIVIL ACTIONS TO BE LEGALLY AND FINANCIALLY ESTIMATED TO
BE OVER AT LEAST $40 MILLION DOLLARS, WITH THE VERY REASONABLE LIKELYHOOD
THAT WITH THE ANTI-TRUST CLAIMS THE CIVIL COMPLAITS ARE MOST LIKELY IN
UPWARDS OF $100 MILLION DOLLARS.
6. COURT FILINGS SINCE 2005 IN FEDERAL AND STATE COURTS WILL PROVIDE
EVIDENCE AND PROOF OF ITEMS 3 TO 5.
7. On July 11, 2017 STAN J. CATERBONE, PETITIONER, returned the completed application and

CATERBONE v. PA Dept. of Human Services Page No. 3 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

supporting documents to the Lancaster County Assistance Office.


8. On July 13, 2017 STAN J. CATERBONE, PETITIONER, received the attached LETTER FROM CASE
WORKER MS. ASENCIO OF THE LANCASTER COUNTY ASSISTANCE OFFICE listing July 26, 2017 as
the date for a telephone interview for the APPLICATION FOR SNAP BENEFITS.
9. On July 26, 2017 Ms. ASENCIO telephoned PETITIONER STAN J. CATERBONE while he was
shopping at the WEIS MARKETS on Millersville Pike, and PETITIONER STAN J. CATERBONE
returned the call from his home at 1250 Fremont Street to complete the interview.
10. During the telephone interview of July 26, 2017 Ms. ASENCIO made the following
DECLARATIONS AND STATEMENTS:
A. PETITIONER STAN J. CATERBONE WAS ELIGIBLE FOR $16.00 PER MONTH IN SNAP BENEFITS.
B. PETITIONER STAN J. CATERBONE'S BENEFITS WOULD BE APPLIED TO THE ACCESS CARD OF
2006, WHICH PETITIONER STAN J. CATERBONE ACKNOWLEDGED WAS IN HIS SAFE DEPOSIT
BOX.
C. MS. ASENCIO WOULD SEND A LETTER REQUESTING DOCUMENTATION OF MONTHLY MEDICAL
PREMIUMS FROM MEDICARE AND UPMC.
11. As of this day, August 14, 2017 PETITIONER STAN J. CATERBONE NEVER RECIEVED ANY
CORRESPONDENCE FROM THE PENNSYLVANIA DEPARTMENT OF HUMAN SERVICES.
12. On August 3, 2017 PETITIONER STAN J. CATERBONE DELIVERED THE DOCUMENTATION OF THE
MEDICAL PREMIUMS FROM HIS SOCIAL SECURITY DISABILITY ACCOUNT.
13. On August 9, 2017 PETITIONER STAN J. CATERBONE DELIVERED THE ATTACHED LETTER.
14.THE ASSAULTS ON THE CATERBONE FAMILY BEGAN IN 1904 - November 15, 1904 The
LANCASTER NEW ERA ran a story about CATERBONE'S Great Grandfather, Joseph Catrabone
regarding an arsonist burning down his home and killing his monkey, which he used as an Organ
Grinder. The spelling of the last name is confirmed by the original CERTIFICATE OF BAPTISM which
states as my father SAMUEL CATRABONE, See attached. The article reads:
FIRES IN CITY AND COUNTY A HOUSE DAMAGED AND BARN BURNED The Barn on J.M.E.
Rudys Farm Destroyed Monday Night - Quite a stubborn fire occurred on Monday night
shortly after 10 o'clock at No. 119 Beaver street, a two-sided & half story frame building
occupied by Joseph Catrabone (CATERBONE-MY GREAT GREAT GRANDFATHER), an
Italian who keeps a boarding house for his fellow countrymen, most of them being street
musicians. Most of the boarders were in bed when the alarm of the fire was raised outside and
Catty and a couple of his compatriots were greatly excited upon learning that the rear end of
their establishment was in flames. Everybody in the place was aroused, but the excitable
Italians were not in condition to do anything but rush about, jabbering and making confusion
worse confounded. Word of the fire was sent to Fire Chief Vondermuth at No. 5 engine house
and he hurried to the scene of the fire, after sending orders to the other companies. He took
with him the new Clapp & Jones reserve engine, which proved its merit in service, sending a
heave stream and with such force as to require three men to hand the nozzle. The fire at
Catrabone's had worked it's between the partitions and was hard to get at and the Chief kept
his men there until after midnight, before he was satisfied the fire was slumbering between
partitions. The building was badly damaged by the fire and water. The building is owned by

CATERBONE v. PA Dept. of Human Services Page No. 4 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Frances Frailey, and her loss will be about $500. Catrabone lost considerable furniture and his
boarders a great of their effects, one of the being minus the monkey. The poor fellow, the
Italian, not the ******, went about afterwords-bewildering the loss of de monk, which
doubtless perished in the fire. After the fire fifteen of Catty's boarders were sheltered at the
police station for the night and they had enough ***** with them to fill out an immigrant train
for a trip across the plains. The fire is supposed to have been of incendiary origin. While at the
fire driver Edward Samoon, of No. 4 house carriage had his left foot so badly trampled and out
by his horse that Dr. Boiendies had to put four stitches in the wound. He will be laid up for
some time.

15. December 15, 1942 Samuel Caterbone, Jr. (CATERBONE'S FATHER) enlists in the United States
Navy and receives basic training in Bainbridge, Maryland.
16. August 21, 1943 Samuel Caterbone, Jr. GRADUATES from NAVAL AIR GUNNERS SCHOOL with
HONORS as an ARM3c rank and the Lancaster Newspapers puts an article with his photo in
the evening edition with the headlines Graduates With Honors.
17. 1943 Samuel Caterbone, Jr. GRADUATES from the Dry Cleaning Institute of America of
Baltimore, Maryland.

18. The NAVAL AIR GUNNERS TRAINING MANUAEL CONTAINS THE FOLLOWING DESCRIPTION
OF THE AIR GUNNER:

Drawing flight pay a full 50% raise from the day of the first flight, the aerial gunner
is the envy of all branches of service. Selected only from the best of men available to the
armed forces, the aerial gunner is the Raider of naval aviation. He is the one man out
of many who has qualified physically and mentally for the most dramatic and important
position in modern warfare. Teamed with the finest flight crews in the world, flying the
best planes, the aerial gunner has the unique and rare opportunity to play the
outstanding personal role in bringing the world conflict to a satisfactory and speedy
end.

19. In the 1960's Samuel Caterbone starts several Dry Cleaning companies with relatives, in
both Lancaster and Stamford, Conneticut. He, his father, and Uncle Tony Caterbone start the
DELUXE CLEANERS, located on Chesapeake Street, Lancaster, CATERBONE CLEANERS located on the
corner of East Orange and Plum Streets, Lancaster, and finally build CATERBONE CLEANERS, INC.,
at 1470 Manheim Pike, Lancaster, Pennsylvania.
20. The 1960's Samuel Caterbone, Jr. is served numerous mental health warrants by the
Lancaster City Police Department, hospitalized, and subjected to rounds of electro-shock
therapy, one of the main tactics used in the MKULTRA Program. Documents from the JOINT
HEARING BEFORE THE SELECT COMMITTEE ON INTELLIGENCE AND THE SUBCOMMITTEE ON HEALTH
AND SCIENTIFIC RESEARCH OF THE COMMITTEE ON HUMAN RESOURCES UNITED STATES SENATE
NINETY-FIFTH CONGRESS FIRST SESSION AUGUST 3, 1977 it reads:

Under CIA's Project MKNAOMI, the Army assisted the CIA in developing, testing, and
maintaining biological agents and delivery systems for use against humans as well as against
animals and crops. Thirteenth, there are single subprojects in such areas as the effects of
electroshock, harassment techniques for offensive use, analysis of extrasensory

CATERBONE v. PA Dept. of Human Services Page No. 5 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

perception, gas propelled sprays and aerosols, and four subprojects involving crop and
material sabotage.

21. August 4, 1972 the Lancaster City Police file FORGERY charges against Samuel Caterbone
Jr., for signing a check from SAM CATERBONE CLEANERS, INC., for $200.00 made payable to
Lancaster City Attorney James Coho without the authorization of his wife, (CATERBONE'S
MOTHER) YOLANDA RODA CATERBONE. Other charges are filed for robbery and burglary in
the alleged theft of $2,500 from the basement of his parents home at 1550 Book Road,
Lampeter that was supposedly the property of Samuel Caterbone Jr., nephew, Joseph
Riccuero III.
22. Samuel Caterbone Jr. is imprisoned and denied bail for a period of 90 days until trial.
23. February 13, 1974 Samuel Caterbone Jr., appearing Pro Se, gets a split verdict and is found
guilty of forgery, and NOT GUILTY of the other charges. He is sentenced to one (1) year
probation.
24. August 29, 1973 Samuel Caterbone Jr., is ORDERED by President Judge William Johnstone,
Jr., released from PROBATION and ORDERED TO LEAVE THE AREA AROUND LANCASTER
COUNTY PENNA. AS OF AUGUST 29, 1973.
25. Christmas Day, December 25, 1984, Sammy Caterbone, CATERBONE 'S oldest brother and
best friend, is MURDERED in Santa Barbara California.
26. Lancaster Aviation arrange for the selected aircraft to be flown in from the Midwest to be inspected by
CATERBONE. Pete Wolfson of Lancaster Aviation conducts the meeting, as an official agent of
Lancaster Aviation. Commonwealth Bank has approved the financing of $97,000 for the purchase. The
additional $25,000 required is not yet available. Pete Wolfson insists that the plane must be purchased
before being flown back to the Midwest. Pete Wolfson requests a post-dated check from CATERBONE
for the remaining balance. CATERBONE refuses, citing that the remaining funds must be liquidated
from the Keystone Mutual Fund, and the exact receipt of the moneys is not guaranteed, and could take
up to 10 days. Pete Wolfson agrees not to deposit the check until CATERBONE confirms that the funds
have been received and deposited in order to cover the check for the remaining $25,000. CATERBONE
makes sure that Pete Wolfson has the authority to make the arrangement, and Pete Wolfson agrees.
The purchase of the airplane was also subject to a pre-purchase inspection by Lancaster Aviation.
Lancaster Aviation also advises CATERBONE to have his airplane included in their Fleet Insurance
plan. CATERBONE also advises Lancaster Aviation that he would like to offer the airplane to his
business associates for use in order to subsidize the costs and maintenance.
27. Chuck Smith, president of Lancaster Aviation, later discloses to CATERBONE that he had deposited
CATERBONEs pre dated check for $25.000, without the confirmation by CATERBONE that the funds
had been transferred from accounts. CATERBONE had argued with Pete Wolfson, the salesman for
Lancaster Aviation, that he did not want to give them a post dated check, however Chuck Wolfson
insisted. Now, Chuck Smith had told CATERBONE that Pete Wolfson did not have the authority to

CATERBONE v. PA Dept. of Human Services Page No. 6 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

complete the transaction. However CATERBONE reminded Chuck Smith that he was acting as an
agent for Lancaster Aviation, and that was not material to this dispute.
28. Lancaster Aviation and Commonwealth Bank engaged in Count IV - extortion, defamation of character,
slander, wrongful interference with business relations, wrongful interference with contracts, obstruction
of justice, trespass to person, unfair competition, fraud, conspiracy, embezzlement, breech of contract
and several violations in lender liability; in later repossessing the aircraft on July 1, 1987 with no
advanced notice and no reason or cause. Commonwealth Bank was the mortgagor on the property of
Olde Hickory, which CATERBONE had a loan commitment of $5 million to refinance that property.
Lancaster Aviation will deny CATERBONE s airplane to provide service to a scheduled charter by Jim
Bly of Source Management of Virginia on June 27, 1987. CATERBONE had an agreement for $300.00
per hour and an estimated 6-hour charter planned.
29. On June 23, 1987 Larry Resch, an executive of both International Signal & Control, Plc,.(ISC) And
United Chem Con visits CATERBONE at Financial Management Group, Ltd., headquarters in Lancaster,
as scheduled to discuss business opportunities. Larry Resch explains "we had to fly Carl Jacobson out
of the country early this morning" as the reason for his not being able to attend the meeting as
planned. Larry Resch discusses possible strategies to rescue Chem Cons Minority 8A Set-aside
contracts, and solicits financing for new facility. CATERBONE becomes annoyed the context of the
conversation, especially the lack Of disclosure, and discusses allegations of wrongdoing by Guerin and
International Signal & Control, Plc, and the relationship to United Chem Con. After evaluating the
financial statements, CATERBONE also suggests there is approximately $15 to $18 million in missing
funds.
30. Mr. Larry Resch failed to inform CATERBONE of his association and position with International Signal
& Control, Plc., while CATERBONE formally began his whistle blowing activities on International Signal
& Control, Plc..
31. On June 23, 1987, at 2:00 pm immediately following the meeting with International Signal & Control
Executive, Mr. Larry Resch, CATERBONE has his locks changed to his office by Russell Locksmith of
Lititz, in order to secure confidential personal and business files in light of the current internal power
struggle between himself, Michael Hartlett and Robert Kauffman, and given the conversation with Mr.
Larry Resch of International Signal & Control, Plc., a few hours earlier.
32. CATERBONE was a personal guarantor of a 5 year lease agreement with the Developer, Fishcer
Spounagle, Ltd., for the offices of Financial Management Group, Ltd., at 1755 Oregon Pike, Lancaster,
Pennsylvania, that began in 1986 and did renew until 1991.
33. Robert Kaufman, President of FINANCIAL MANAGEMENT GROUP, Ltd., and other FINANCIAL
MANAGEMENT GROUP, Ltd., executives burglarize CATERBONE's office removing confidential personal
and business tiles. Some of the mortgage banking and other business files have yet to be found.
Kauffman and Robert Long illegally issue FINANCIAL MANAGEMENT GROUP, Ltd., stock certificates to
Peter Peneros and Scott Robertson. Robert Long signs the stock certificates as Secretary of FINANCIAL

CATERBONE v. PA Dept. of Human Services Page No. 7 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

MANAGEMENT GROUP, Ltd., when CATERBONE was acting Secretary, and was the only person duly
authorized to issue FINANCIAL MANAGEMENT GROUP, Ltd., stock certificates. CATERBONE learned of
the burglary by Robert Kauffman, President, in a telephone conversation while at Stone Harbor, NJ;
Kauffman inadvertently mentioned that the stock certificates were issued, however, with all documents
at risk of being stolen, CATERBONE did not mention the incident, in hopes to first recover any
potentially stolen business and personal files.
34. Financial Management Group, Ltd., executives engaged in obstruction of justice, in unfair competition,
wrongful interference with contracts, trespass to person, criminal trespass, forgery, undo influence,
conspiracy, embezzlement, Count IV - extortion, mental duress, slander, defamation of character,
wrongful interference with business relations, and violated several bylaws of Financial Management
Group, Ltd.,
35. On May 20, 1987, CATERBONE and Attorney Ric Fox, of Harrisburg, Pennsylvania, draft the legal
Letter of Intent for investors of Power Productions I, which CATERBONE was general partner.
CATERBONE had several interested parties some which have made verbal commitments, including
Norris Boyd and Dave Cook, an executive of Turkey Hill Minit Markets.
36. On June 29, 1987, CATERBONE received patent research materials from patent attorney Joel S.
Goldhammer, of the prominent Philadelphia law firm Siedel, Gonda, Goldhammer & Abbot regarding
the "Digital" Movie, and the national franchising of Financial Management Group, Ltd.,. CATERBONE
had retained the services of Siedel, Gonda, Goldhammer, and Abbot in order to investigate all relevant
matters concerning the technology, merchandising, and marketing of the "Mutant Mania" project, and
the use of the "Power Station" label. Research was required for the merchandising of consumer
electronics, professional audio/visual digital mixing consoles, and the "Power Station Digital Movie
System (PSDMS), as created by CATERBONE in the proposal for SONY Corporation of Japan.
37. On May 11, 1987, CATERBONE invested and paid Scott Robertson, executive vice president of
Financial Management Group, Ltd., $2,000 dollars from a personal account for an advance for work on
mortgage banking projects and the Digital Movie. On the same day CATERBONE paid film producer
Marcia Silen, of Flatbush Films, Hollywood, California, an advance of $750.00 for a cash advanced for
work with the Digital Movie project.
38. CATERBONE was executor producer of the project, general partner of Power Productions I, the
investment group, and named in the Mutant Mania budget to receive a salary of $100,000. In
addition CATERBONE had agreements to receive royalties on all revenues associated with both the
distribution of the film and video release and all branding of the merchandise from the project.
39. Financial Management Group, Ltd., its officers and employees, along with other Defendants including
but not limited to Commonwealth National Bank (Mellon Bank) (Mellon), Fulton Bank, the Manheim
Township Police Department engaged in unfair competition, wrongful interference with contracts,
trespass to person, criminal trespass, forgery, undo influence, conspiracy, embezzlement, Count IV -
extortion, mental duress, slander, defamation of character, obstruction of justice, wrongful interference

CATERBONE v. PA Dept. of Human Services Page No. 8 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

with business relations, and other anti trust violations pertaining to the Digital Movie project.
40. CATERBONE , on behalf of Financial Management Group, Ltd., began research and discussions with
corporate attorney, Jeff Jamanou of the law firm McNesse, Wallace and Nurick regarding franchising the
concept of Financial Management Group, Ltd, on a national scale and considerations for a stock split.
CATERBONE handled all legal endeavors of Financial Management Group, Ltd.,
41. Beginning in April of 1987, Financial Management Group, Ltd, officers and executives engaged in a
pattern of unfair competition, wrongful interference with contracts, trespass to person, obstruction of
justice, criminal trespass, forgery, undo influence, conspiracy, embezzlement, Count IV - extortion,
mental duress, slander, defamation of character, wrongful interference with business relations, and
other anti trust violations.
42. On June 18, 1987, CATERBONE and Randy Grespin, corporate attorney for The Life Underwriters
Group, fly to Atlanta, Georgia, to visit with executives of Planners Securities Group, a nationally known
Broker Dealer, and joint venture partner that was in the midst of a deal in which Financial Management
Group, Ltd., had negotiated an equity interest. CATERBONE had initially consulted with both
Kauffman and Hartlett concerning the trip, however when both disagreed, CATERBONE questioned
why CATERBONE was the only principal to personally visit the operations of Hibbard Brown &
Company, which lead CATERBONE his decision to terminate the ill fated merger.
43. Planners Securities Group, was regarded as the most successful Broker Dealers in the financial
planning community, and included several former presidents of the national board of the International
Association of Financial Planners. The company had previously been recruiting Financial Management
Group, Ltd.,., and offering an attractive equity interest. Randy Grespin agreed to reimburse $600 to
CATERBONE for the expense and use of his aircraft.
44. CATERBONE had the following agenda for the trip and meeting:
A. Visit and discuss the joint venture and merger with Financial Management Group, Ltd., and
evaluate the various departments necessary to administer Financial Management Group, Ltd.,'s.,
stock transactions and private real estate offerings.
B. Discuss and evaluate the opportunities of utilizing insurance products from Randy Grespin's firm,
and all matters related to the structuring of business.
C. Familiarize Greg Burie, a personal friend and recruitment of CATERBONE s who was also visiting
from Florida to consider opening a Florida office for Financial Management Group, Ltd..
D. Conduct an extensive and thorough due diligence investigation of the stability, efficiency, and
security of the operations, in order to prevent a similar situation that facilitated the previous
termination of the recent Hibbard Brown & Company deal. CATERBONE left the meetings with
very optimistic and impressive findings, that only left more questions as to the decision of
Kauffman and Bartlett to affiliate with Hibbard Brown & Company, knowing that the Atlanta group
had been aggressively pursuing talks of a merger since the inception of Financial Management
Group, Ltd.,., On the return flight home, CATERBONE confided to Randy Grespin, requesting legal

CATERBONE v. PA Dept. of Human Services Page No. 9 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

advise, regarding the recent problems and his allegations of misconduct by Financial Management
Group, Ltd.,., President Robert Kauffman. Randy Grespin advised CATERBONE to take some time
and seek legal counsel. On June 18, 2007, after arriving at the corporate offices of Upon entering
the offices of Financial Management Group, Ltd., Robert Kauffman pulls CATERBONE into his
office and abruptly shouts "Who is running this corporation, me or you?". CATERBONE quickly
answers "I don't give a damn who runs this company. as long as it's run right, and for the right
reasons!" CATERBONE immediately left the office.
45. On June 18, 1987, later in the evening, Robert Kauffman, President visits the home of CATERBONE
and engaged in a contractual dispute when CATERBONE refused to agree to approve the new
contract and salary increase of Robert Kauffman, President,. Robert Kauffman, President, engaged in
retaliatory and activities, including fraud, Count IV - extortion, libel, defamation of character,
obstruction of justice, and conspiracy.
46. June 22, 1987, CATERBONE hires Todd Dellinqer, a planner in Financial Management Group, Ltd.,., to
help administrate the daily activities of his personal clientele and to perform administrative duties
necessary due to the amount of time CATERBONE is conducting business out at the office, allowing
CATERBONE to focus attention on the Strategic Planning, and allowing him to better manage his
time. CATERBONE sends a memo to client and shareholder Dr. William Umiker that introduces his
new assistant, in addition to information regarding his pension accounts.
47. FINANCIAL MANAGEMENT GROUP, Ltd, Board of Directors meet to vote on CATERBONE's request and
demand to ratify the recent joint venture agreement/contract with Hibbard Brown & Company, after
CATERBONE learned of dire inefficiencies within Hibbard Brown & company, and the "Born Again"
relationships of Kauffman, that placed an unprecedented amount of risk to FINANCIAL MANAGEMENT
GROUP, Ltd.,. CATERBONE voted by telephone from the Chicago Airport, in the midst of his travel to
Palm Springs and Hollywood California. The Board also voted to negotiate and approve a deal with the
Planners Securities Group, of Atlanta, GA. CATERBONE had won the votes of Alan Loss and Robert
Long, overturning the decision of Robert Kauffman, President, and Michael Bartlett and officially
terminating the agreement. This vote, in and above itself, took control of the Board of Directors from
Kauffman and Bartlett, and put the power of the Board in the direction of CATERBONE. This will
eventually lead to the Coup conspired by Kauffman and Hartlett to find a way to get CATERBONE out
of the corporation.
48. On January 20, 1987, CATERBONE and Al Dannatt, a principal and managing partner with the
commercial mortgage banking company Institutional Investors of Houston, Texas, consummate a joint
venture agreement where CATERBONE will market and solicit clients on the eastern part of the
regional for commercial mortgages with a lending authority of $3 to $100 million dollars. The
agreement also calls for CATERBONE to develop other joint venture proposals and business
transactions with a bank the Institutional Investors was in the process of purchasing. CATERBONE in
turn would began to offer the joint venture to members of Financial Management Group, Ltd., to offer

CATERBONE v. PA Dept. of Human Services Page No. 10 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

finder fees to both Financial Management Group, Ltd., and any members of Financial Management
Group, Ltd., which referred clients and projects.
49. CATERBONE alleges that the following revenue sources:
A. Financial Planning Fees and Commissions
B. Financial Management Group, Ltd., Management Salary
C. Mortgage Banking Business
D. Real Estate Limited Partnerships (Dave Schaad, Jim Bly, Dave Cook)
E. Pension Fund Portfolio Management (Harsco, Inc., of Harrisburg)
F. Life Insurance Joint Venture Agreements
G. Personal Real Estate Investments
H. Air Charter Services
I. Reorganize Gamillion Film Studios
J. Equity Interests in Financial Management Group, Ltd.,
50. CATERBONE has the following violations Count IV - extortion, defamation of character, slander,
wrongful interference with business relations, wrongful interference with contracts, trespass to person,
unfair competition, fraud, conspiracy, embezzlement, breech of contract
51. On June 25, 1987, Financial Group Executives burglarized CATERBONE s office and began to extort
CATERBONE business interests in the Institutional Investors joint partnership. Up to that point in
time, CATERBONE had developed a pipeline in excess of $100 million in projects, a firm commitment
for a satellite office in Hollywood, California, and a commitment for a $5 million second mortgage on
the Olde Hickory Properties, of Lancaster, County. CATERBONE was able to offer more attractive
financing arrangements than that of the local commercial lending institutions, including Fulton Bank
and Commonwealth Bank. Both banks would eventually engage in anti-trust violations.
52. On June 29, 1987, CATERBONE visits with Dave Schaad, President of the York based real estate firm
of Bennett Williams, Inc., CATERBONE was finalizing plans to secure financing of a $2.5 million office
complex for the new headquarters of Bennett Williams, as well as 3 or 4 additional anchor tenants.
CATERBONE had been working with Dave Schaad for the past 3 months, along with Scott Robertson.
CATERBONE had previously discussed the deal with Dave Cook, and executive and former owner of
the Turkey Hill Convenience Stores. Dave Cook indicated a serious interest in providing the entire $2.5
million investment. The above deal would have provided over $150,000 of fees upon settlement to
CATERBONE upon settlement. Prior to the meeting, Dave Schaad had indicated by telephone, that
Robert Kauffman had invited himself to the meeting, without prior consent or notice to CATERBONE ,
During the meeting, CATERBONE disclosed the current criminal activities within the principals of
Financial Management Group, Ltd., being facilitated by Robert Kauffman himself.
53. In June of 1987, Jill Carson, a Fulton Bank Branch Manager libeled and slandered CATERBONE in
notifying Mr. Chuck Smith, owner operator of Lancaster Aviation, CATERBONE was bankrupt and had
no liquid funds, which was totally fabricated. At the time of this infringement and at least until August

CATERBONE v. PA Dept. of Human Services Page No. 11 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

8, 1987, CATERBONE s credit rating as reported by the Lancaster Credit Bureau was perfect, with all
creditors paid in full within 30 days, as agreed. The credit report included 22 creditors. Being that
CATERBONE was a customer, borrower, and a client in good standing with Fulton Bank, this amounts
to defamation of character, slander, wrongful interference with business relations, wrongful interference
with contracts, trespass to person, unfair competition, fraud, conspiracy, embezzlement, breech of
contract.
54. On July 1, 1987, CATERBONE retained the counsel of Mr. Joseph F. Roda, Esq., of Lancaster, to
arrange for a meeting to discuss the recent events and Coup attempt by Kauffman and Hartlett that
included several criminal and security violations. CATERBONE visits with Mr. Joseph F. Roda, Esq. and
describes the incidents in detail, including the "Digital Movie", ISC, and all related activities. Mr.
Joseph F. Roda, Esq. instructs CATERBONE to have all of the files copied and arranges for the return
of all Financial Management Group, Ltd., corporate files. CATERBONE had questioned Mr. Joseph F.
Roda, Esq. for a legal opinion as to his right of any moneys in Financial Management Group, Ltd.,
checking accounts that he was authorized to sign for. Mr. Joseph F. Roda, Esq. advised that
CATERBONE had no right to any funds. All checks were returned to Financial Management Group,
Ltd., along with all other documents.
55. CATERBONE advises Mr. Joseph F. Roda, Esq. that he is in fear that someone is deliberately
orchestrating all of the recent incidents, which were quite extraordinary and extremely criminal and
have been coming from all directions. CATERBONE advised Mr. Joseph F. Roda, Esq. that he would
like to take all of his files to Stone Harbor, New Jersey for safekeeping while he pursued his legal
recourse. CATERBONE also explained that he would feel safer leaving Lancaster until these
circumstances were brought under control.
56. Mr. Joseph F. Roda, Esq., failed to provide any advocacy representation; colluded with Financial
Management Group, Ltd.,; failed to inform CATERBONE of any conflicts of interests with current
clients (Mr. William Clark, in house legal counsel for International Signal & Control, Plc.,); was
negligent in not reviewing the hundreds of documents CATERBONE delivered and for not identifying
causes of actions, which United States District Judge Mary McLaughlin identified from similar
documents in June of 2006; was negligent in not believing CATERBONE detailed account of the
Commonwealth National Bank (Mellon Bank) wrongful repossession, may have conspired to cover-up
CATERBONE s Federal False Claims Act against International Signal & Control, Plc,.
57. Mr. Joseph F. Roda committed fraud in invoicing CATERBONE for services rendered, without any
actual benefit afforded to CATERBONE .
58. The Defendants conspired to discredit CATERBONE with a massive campaign of libel, slander and
deceit when immediately following the meeting with International Signal & Control, Plc., meeting of
June 23, 1987 the following contracts were terminated without cause:
K. Planners Securities Group, Ltd., NASD Series 22 Securities License
L. Planners Securities Registered Representative Agreements

CATERBONE v. PA Dept. of Human Services Page No. 12 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

M. William O. Umiker Executor of Estate


N. Michael T. Caterbone Power of Attorney
59. On July 3, 1987, at approximately 12:00 am, Victor Miasnikowcs, owner operator of Romar Aviation
(Currently Venture Jets, Inc.) calls CATERBONE to notify him that his aircraft was reposed some hour
earlier, and locked in the hanger of Lancaster Aviation, with all of his personal and business files on
board. Victor only would say that Commonwealth Bank had taken part in the repossession, with no
reasons given. The first payment of the loan agreement with Commonwealth National Bank (Mellon
Bank) was not due until July 25, 1987 and the $25,000 cash deposit for th e airplane was now officially
extorted from CATERBONE . There was no money due to Commonwealth National Bank (Mellon
Bank). CATERBONE also becomes quite suspicious, after learning a few weeks earlier that his efforts
to provide a refinance of some $6 million to Boyd Wilson Properties, was more favorable than the
existing or proposed financing arrangements now place with Commonwealth National Bank (Mellon
Bank), which not only has a lender relationship with CATERBONE , but is also a competitor for his
mortgage banking activities. It was also known that CATERBONE 's lending authority was larger and
more competitive than most of the local banking community. CATERBONE now becomes in fear for
his life due to this incident, and all other unexplained incidents in the preceding days and weeks.
60. Commonwealth Bank engaged in an illegal repossession, conversion, replevin, trespass, fraud, breach
of fiduciary duty, and/or breach of contract arising out of the alleged repossession, Count IV -
extortion, lender liability, interference with business contracts and relations, civil conspiracy, fraud, and
violated anti-trust and lender liability laws.
61. On July 4, 1987 at approximately 9:00 am in the morning, CATERBONE calls his attorney Mr. Joseph
F. Roda, Esq., under emotional duress from the previous conversation with Victor and the repossession
of his aircraft with all documents on board; Mr. Joseph F. Roda, Esq. responds "Stan, you have to quit
fabricating these allegations, it is July 4th, what do you want me to do. This conversation reaffirms a
conspiracy theory within Lancaster to ruin him, and supports his efforts to leave Lancaster with his files
to solicit aid and support from legal and law enforcement authorities to suppress the conspiracy.
CATERBONE realizes that the documents were authentic proof and evidence of all of his allegations,
and most importantly all of his business activities for the past 5 or more years. The loss of the files
would have devastating consequences for his life.
62. Mr. Joseph F. Roda committed fraud in invoicing CATERBONE for services rendered, without any
actual benefit afforded to CATERBONE .
63. On July 4, 1987, at approximately 9:30 am, after the disturbing phone, CATERBONE drives to the
Cape May County Airport to solicit the services of a pilot to fly to Lancaster to retrieve his files. Brad
Donahue accepts the job, and agrees to a $200 tee, and an additional $200 it there are any difficulties
in obtaining the files. CATERBONE provides Brad Donahue with all documentation showing legal title
to the aircraft in the event authorities are notified. CATERBONE gives explicit instructions to notify
the police in the event personnel will not return all of the files. Brad Donahue arrives a few hours later,

CATERBONE v. PA Dept. of Human Services Page No. 13 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

with boxes of files. Brad Donahue briefly describes an encounter at Lancaster Aviation, and demands
payment of $400 as agreed. An invoice is signed by all parties as proof of payment and the activity,
and $400 in cash is paid to Brad Donahue. Pilot Dave Austin, of the Cape May County Airport
witnesses the transactions and the event.
64. In the following weeks, Dave Austin, would later disclose to CATERBONE that Brad Donahue was killed
in a mysterious "Air-Accident", while over water, with an unexplained and questionable flight chart.
65. CATERBONE solicits the legal services of Ric Fox, a Harrisburg attorney that has prepared legal
documents for the "Digital" Movie. Rio Fox flies his aircraft to the Cape May County Airport, and
arrives at CATERBONE 's house accompanied with another attorney Robert Chercicoff. All of the
recent activities were detailed and described concerning Financial Management Group, Ltd.,; the
"Digital Movie"; and the illegal repossession of the aircraft. CATERBONE questioned Mr. Fox and his
associate of any relationship with Commonwealth Bank, which headquarters were also in Harrisburg,
and both gave a very ambiguous answer. The meeting ended with both attorneys failing to recognize or
admit to any wrongdoing by any and all related parties, and further demanding a $2,000 retainer fee
to look further into the matters. CATERBONE suspects the conspiracy theory again, especially in
light of the acknowledged relationship with Commonwealth Bank, and an indirect relationship with
Robert Kauffman, through Life Underwriters of Harrisburg, a joint venture arranged by CATERBONE
some months earlier. By July 5, CATERBONE had already made two legitimate attempts to solicit
legal aid for the unexplained events and circumstances, both of which were maliciously sabotaged.
66. Ric Fox and Robert Chercicoff engaged in conspiracy, collusion, interference with business contracts,
interference with business relations, and had attempted to thwart and cover-up CATERBONE S
Federal False Claims Act complaint.
67. On July 6, 1987, In an effort to document the conspiracy theory, CATERBONE requests Tom
Caterbone to call Robert Kauffman, President, to inquire about the status of his affairs, and to tape the
conversation. Tom Caterbone identifies himself as John Green, a client of CATERBONE's and Robert
Kauffman, President, states the following: "CATERBONE has moved his office to Stone Harbor, NJ.. he
is not taking care of business, and I need to see to it that his clients are taken care of for the time
being.. he has been spending a lot of money, an airplane, a place at the shore, and he seems to think
that he is too important for his traditional clientele.. There is some history of mental disorders in his
family history.. I can't come right out and say that that is what's going on,.... I wish Stan would get
some professional help.. However for the time being, Stan is not taking care of business, and I need to
be concerned for his clients.
68. On July 6, 1987, CATERBONE telephones Dr. Al Schulz, psychiatrist at St. Joseph Hospital, and client
of CATERBONE's in order to thwart the allegations of insanity. Dr. Al Shulz had disclosed that several
persons, including Mary Lynn Dipaolo and Jere Sullivan had called him concerning CATERBONE's
behavior and activities.

CATERBONE v. PA Dept. of Human Services Page No. 14 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

69. From the allegations, Dr. Shulz advised that CATERBONE was suffering from illusions of grandeur,
and prescribed Lithium treatment, and to return to Lancaster for consultation. CATERBONE insisted
that the allegations were purely fabricated, and that no one had any legal right to interfere with his
business and or legal affairs, let alone his confidential medical records.
70. On July 6, 1987, CATERBONE contacts David Drubner, of Boston, Ma, a friend of CATERBONE's
brothers Mike, and an attorney. During the conversation, David Drubner questions CATERBONE
about "taking some medication", and supports the allegations of insanity.
71. On July 17, 1987 CATERBONE travels to Hollywood, California to meet and visit with Ted Gamillion
and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted Gamillion had previously
solicited the consulting of CATERBONE in order to help reorganize the financing of the film studio,
after earlier arrangements in North Carolina had gone sour. CATERBONE had spent several days
visiting and touring the studio. Ted Gamillion agreed to allow CATERBONE to represent the studio in
order to secure the required financing. Ted Gamillion provided CATERBONE with substantial amounts
of confidential financial, legal, and tax documents for the project.
72. During the visit, Marcia Silen had disclosed to CATERBONE that Scott Robertson had made
allegations of insanity about him (CATERBONE) to persons at Power Station Studios and and Flatbush
Films.
73. In the following days, CATERBONE had made numerous telephone calls to local, state, and federal
authorities, for intervention and help regarding all of the preceding events and circumstances. The
following is a brief description of each: Manheim Township Police Department, responded "what bank
branch repossessed your aircraft"; Pennsylvania State Senator Gib Armstrong, responded, "I will call
the Pa Attorney General's Office and have them call you; the Federal Bureau of Investigation (FBI), the
Philadelphia-based field office; U.S. Representative Robert Walker (R-Pa), a detailed and explicit
conversation with Mrs. Robert Walker, who would only advise CATERBONE to put his situation in
writing and submit it to the Congressman in his Washington, D. C. office. In addition: David Wouls
(Executive Vice President of the Lancaster chamber of Commerce & Industry), CATERBONE talked at
length, and in detail, making allegations of misconduct with members of the same; National
Association of securities Dealers (NASD), in Washington, D.C., CATERBONE discussed the securities
related violations. And also: the Securities & Exchange Commission (SEC), also in Washington, D.C.,
and discussed securities laws violations; the Pennsylvania Securities Commission, of Harrisburg, Pa,
discussed the implications of CATERBONE's illegal lock-out, and his legal and formal positions,
including incorporating officer of Financial Management Group, Ltd., CATERBONE received no support
or follow-up communications concerning all of the above requests, despite his apparent emotional
duress, and extreme situation.

74. On July 2, 1987, CATERBONE negotiates with Romar Aviation to provide pilot; storage; and
insurance with his aircraft after many very questionable occurrences at Lancaster Aviation, just a few

CATERBONE v. PA Dept. of Human Services Page No. 15 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

hundred feet away. CATERBONE secures insurance and pays $1,000 to Romar Aviation for the flight
to Stone Harbor and insurance, which was conducted by Victor M. of Romar Aviation. In addition, at
the referral of Victor, CATERBONE calls Sam Goode, of Sam Goode Assoc., to bind insurance for the
aircraft. Sam Goode Binds the insurance and instruct CATERBONE to mail a payment of $750. The
conversation took place in Romar Aviation, at the time the $1,000 was paid to Victor. CATERBONE
loads his aircraft with all of his personal and business files to be transported to the Cape May County
Airport, just a few miles outside of Stone Harbor, in the morning of July 4.
75. In July and August of 1987 Mr. Robert Kauffman, President, had several meetings with Millard
Johnson, client of CATERBONE since 1982, in efforts to coerce Millard Johnson to provide false
statements to a bonding company that a legitimate loan from Millard Johnson to CATERBONE was
instead an act of embezzlement of $25,000 of funds that were transferred to CATERBONE for an
investment. Mr. Millard Johnson testified in person on September 29, 1987 before Mr. Howard Eisler of
the Pennsylvania Securities Commission in a recorded interview and attested to the preceding. Mr.
Millard Johnson refused and notified Mr. Robert Kauffman that his attempt was a serious crime.
76. Mr. Kauffman and Mr. Michael Hartlett, a principal and partner of Financial Management Group, Ltd.,
contracted with an insurance company on June 29, 1987 an errors and omissions insurance policy for
corporate officers of Financial Management Group, Ltd., in an effort to collude, conspire, and defraud
that insurance company of a claim, while at the same time committing slander, libel, and conspiracy to
extort CATERBONE s stock holdings, and all other business interests.
77. On July 24, 1987, Michael M. Hartlett sends a letter to all creditors of Financial Management Group,
Ltd., informing them that stated the following: CATERBONE is no longer an officer of the
corporation; he was removed from office on July 1, 1987; he had been purchasing items under
Financial Management Group, Ltd., and obtaining corporate discount and rates; and formally notifying
them that CATERBONE had never had the right to purchase items through Financial Management
Group, Ltd., or make corporate commitments on behalf of Financial Management Group, Ltd., or
contract or in any way obligate Financial Management Group, Ltd.,.
78. Mr. Michael M. Hartlett engaged in slander, libel, defamation of character, conspiracy to commit fraud,
conspiracy to commit Count IV - extortion, interference with business relations, and interference with
business contracts.
79. On July 7th, 1987, CATERBONE contacts the law firm of Capello & Foley, of Santa Barbara,
California. CATERBONE had conducted research (American Bar Association Journal) in "Lender
Liability", which had became a very popular legal issue, where banks participate in illegal activities
resulting in the financial ruin of it's borrowers. CATERBONE intended to file suit against
Commonwealth National Bank (Mellon Bank) for the illegal and unjustified repossession of his aircraft.
CATERBONE discussed the case briefly with Diane Campell that day, and CATERBONE made
arrangements to deliver supporting documents to the office in Santa Barbara the following week, while
visiting with Gamillion Studios, in Hollywood.

CATERBONE v. PA Dept. of Human Services Page No. 16 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

80. On July 8, 1987, A formal notification of the termination of CATERBONE 's Registered Representative
Securities license with the Planners Securities Group Inc., of Atlanta, GA is received, with a "cc: Robert
Kauffman".
81. Planners Securities Group, Inc., engaged in conspiracy to commit Count IV - extortion, conspiracy,
fraud, libel, defamation of character, slander, Count IV - extortion, interference with business relations,
interference with business contracts, and had violated several anti-trust violations.
82. No explanation was provided, or any reasons for the termination. CATERBONE s reprisal for
disclosing criminal activities to the proper authorities is that he will illegally loose his privilege to sell
securities without any merit.
83. On July 8, 1987, CATERBONE 's brothers, Steve, Phil, Mike, and Tom, arrive unexpectedly and
uninvited at the residence of CATERBONE 's in Stone Harbor, NJ, and refuse to leave until
CATERBONE agrees to take Lithium and return to Lancaster to undergo treatment by Dr. Al Schulz,
for mental illness.
84. Steve Caterbone, Phil Caterbone, Mike Caterbone, and Tom Caterbone had engaged in conspiracy,
libel, slander, defamation of character, conspiracy to commit Count IV - extortion, interference with
business relations, interference with business contracts, invasion of privacy, and civil trespass.
85. On July 9th, 1987, CATERBONE receives a notice by regular 1st class mail from Commonwealth
National Bank (Mellon Bank) regarding the repossession of 9 days prior. The following reasons are
given for the repossession: Failure to provide adequate insurance; Removal of aircraft from Lancaster
Aviation; Intended plan to fly aircraft to Florida without prior written notice.
86. Commonwealth National Bank (Mellon Bank) engaged in violations of lender liability by not providing
advanced notice of the repossession with any opportunity for CATERBONE to cure any legitimate
deficiencies in the lending agreements.
87. On July 10, 1987, CATERBONE receives a formal notarized notification from Dr. and Mrs. William
Umiker of Financial Management Group, Ltd., removing CATERBONE as the former Trustee for their
Estates.
88. On July 10, 1987, Mr. Robert Kauffman also sends a personal letter to all of CATERBONE s clients
informing each and every one that he has moved to Stone Harbor, NJ; that he may not handle
investments at all; and that people close to CATERBONE had requested that he, Robert Kauffman,
personally service his clientele.
89. Robert Kauffman engaged in Count IV - extortion, fraud, libel, slander, defamation of character,
conspiracy to commit Count IV - extortion, interference with business relations, interference with
business contracts, invasion of privacy, and civil trespass, and violated several anti-trust statutes.
90. On July 15, 1987 CATERBONE travels to Boston, Massachusetts to research lender liability and other
legal matters in a law library of Suffolk Community College.
91. On July 16, 1987, CATERBONE travels to New York, from Boston, MA, to visit with Bob Walters of
Power Station Studios, to discuss the allegations of Blackmail, and to find out who is involved,

CATERBONE v. PA Dept. of Human Services Page No. 17 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

including Scott Robertson and Power Station Studios.


92. On July 17, 1987, CATERBONE travels to Hollywood, California to meet and visit with Ted Gamillion
and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted Gamillion had previously
solicited the consulting of CATERBONE in order to help reorganize the financing of the film studio,
after earlier arrangements in North Carolina had gone sour. CATERBONE had spent several days
visiting and touring the studio. Ted Gamillion agreed to allow CATERBONE to represent the studio in
order to secure the required financing. Ted Gamillion provided CATERBONE with substantial amounts
of confidential financial, legal, and tax documents for the project. During the visit, Marcia Silen had
disclosed to CATERBONE that Scott Robertson had made allegations of insanity about him
(CATERBONE ) to persons at Power Station Studios and at Flatbush Films.
93. CATERBONE discusses the illegal repossession and other related matters, however during the
conversation, becomes suspicious when Bob Walters and Tony Bongiovi disclose that the "Digital"
Movie project is suddenly suspended until a later time.
94. On July 21, 1987, At 2:30 pm CATERBONE visits the law firm of Capello & Foley, in Santa Barbara,
California, and delivers 3 large blue binders for Diane Cambell and attorney Barry Capello to review,
concerning his allegations of dire violations of lender liability with specific regards to the illegal
repossession of his aircraft by Commonwealth National Bank (Mellon Bank). CATERBONE research
the law firm of Capello & Foley at the Suffolk law library and learned that it was the leading law firm in
the nation leading the way in violations of lender liability litigation.
95. The law firm of Capello & Foley and CATERBONE had numerous communications, although there was
never any commitment for representation by Capello & Foley, it is alleged that the law firm engaged in
conspiracy, collusion, interference with business contracts, interference with business relations, and
had attempted to thwart and cover-up CATERBONE S Federal False Claims Act complaint by not
acting in good faith with the solicitation of CATERBONE .
96. On July 24, 1987 CATERBONE conducts a three (3) hour meeting at his residence in Stone Harbor,
NJ, with attorney Lew Schweller regarding legal action concerning all events and activities of the prior
days and months. CATERBONE also gives Lew Schweller a $500.00 retainers fee, for his
representation.
97. Lew Schweller engaged in conspiracy, collusion, interference with business contracts, interference with
business relations, and had attempted to thwart and cover-up CATERBONE S Federal False Claims Act
complaint.
98. On July 24, 1987, Attorney Joseph Roda invoices CATERBONE $527.00 for the time and services of
July 1 & 2, 1987.
99. On July 30, 1987, CATERBONE had paid $600 to Dr. Levine, a Psychiatrist from North field, New
Jersey, for an objective evaluation of his mental state of mind, in order to prove the fabricated
allegations of 'insanity". Dr. Levine had conducted a 2-hour meeting in his residence in Stone Harbor,
NJ, and required CATERBONE to complete the Minneapolis Multiphase Personality Inventory (MMPI).

CATERBONE v. PA Dept. of Human Services Page No. 18 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE completed the test, and immediately returned it to Dr. Levine. After several weeks
without any communications from Dr. Levine, CATERBONE had called for the results. Dr. Levine had
explained that he had conducted telephone interviews with members of CATERBONE 's family, without
notice or consent, in addition to the original request of CATERBONE to conduct an objective and
confidential examination. In addition, Dr. Levine prescribed Lithium drug therapy, and disclosed a
diagnosis of Bi-Polar Mood Disorder.
100. Dr. Levine engaged in Count IV - extortion, conspiracy to commit fraud, defamation of character,
slander, libel, and obstruction of justice.
101. On August 6, 1987, the law firm of Appel, Yost & Sorentino, of Lancaster, Pa., sends a formal notice
to CATERBONE , demanding the return of a facsimile machine leased from the ACM Company of
Lancaster, Pa. Attorney Appel advises CATERBONE that it is the property of Financial Management
Group, Ltd., and should be returned at once or legal action will follow.
102. Appel Yost & Sorentino and Attorney Appel engaged in fraud, collusion, libel, slander, defamation of
character, conspiracy to commit Count IV - extortion, interference with business relations, interference
with business contracts.
103. On August 7, 2007 CATERBONE receives a Credit Report from the Credit Bureau of Lancaster
County as requested. The credit report up to the date of August 1, 1987 verifies and confirms that his
credit report was excellent, without any blemishes. The history of all accounts was "paid within 30
days, or as agreed".
104. On August 8, 1987, John M. Wolf, Executive Vice President of Commonwealth National Bank (Mellon
Bank) sends CATERBONE a formal letter advising that the repossession of July 2, 1987 was both
lawful and appropriate, and declines to accept a settlement of $5 million for lender liability violations.
105. On August 10, 1987, CATERBONE receives a facsimile from the Board of Directors of Financial
Management Group, Ltd., signed by Robert Long as The FMG Board of Directors threatening to file
criminal charges for "embezzlement (we have checks to prove it), burglary, employee theft, corporate
opportunity and slander against our firm".
106. Financial Management Group, Ltd., engaged in obstruction of justice, in unfair competition, wrongful
interference with contracts, trespass to person, criminal trespass, forgery, undo influence, conspiracy,
embezzlement, Count IV - extortion, mental duress, slander, defamation of character, wrongful
interference with business relations, and violated several bylaws of Financial Management Group, Ltd.,
107. On August 12, 1987, Yolanda Caterbone, mother of CATERBONE , Steve, Phil, Mike, and Tom
Caterbone, all brothers, arrive unexpectedly and uninvited to the residence of CATERBONE in Stone
Harbor. After several requests for the visitors to leave the premises are denied, several brothers
refuse to let CATERBONE leave the premises. CATERBONE flees, and the brothers chase after him.
CATERBONE runs into a neighbors house to ask to use the telephone to phone the police. However,
after realizing that he is scaring the occupants, he flees to the Stone Harbor Police Department, a few
blocks away, in an effort to obtain a restraining order and to lawfully have the unwanted persons

CATERBONE v. PA Dept. of Human Services Page No. 19 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

vacate his residence and personal property. Officer Steve Conners and Officer Henry Stanford refuse
the request, and hold CATERBONE in custody. After some 30 minutes, the officers, accompanied by
Steve and Tom Caterbone, place CATERBONE into a Police Cruiser and proceed to the Burdette
Tomlin Hospital, in Stone Harbor. Upon arriving, CATERBONE is interrogated and questioned
extensively about a "gun". A hospital staffer then accuses CATERBONE of an attempted suicide and
keep him in custody for 4 or more hours. An extensive mental health evaluation is performed by
another hospital staffer. CATERBONE is given an ultimatum of signing a contract in order to be
released form the hospital, the contract stated: "I Stanley J. Caterbone will not take my life tonight or
at anytime".
108. Yolanda Caterbone, Steve Caterbone, Phil Caterbone, Mike Caterbone, Tom Caterbone engaged in
invasion of privacy, civil trespass, obstruction of justice, wrongful interference with contracts, trespass
to person, criminal trespass, forgery, undo influence, conspiracy, embezzlement, Count IV - extortion,
mental duress, slander, defamation of character, wrongful interference with business relations; and
engaged in psychiatric abuse.
109. The Stone Harbor Police, James Warner (Current Executive Director of the Lancaster County Solid
Waste Management Authority) and Burdette Tomlin Hospital engaged in obstruction of justice, wrongful
interference with contracts, trespass to person, criminal trespass, forgery, undo influence, conspiracy,
embezzlement, Count IV - extortion, mental duress, slander, defamation of character, wrongful
interference with business relations and engaged in psychiatric abuse.
110. On August 13, 1987, CATERBONE At approximately 9:30 am, CATERBONE returns to the
Burdette Tomlin Hospital to obtain a formal copy of the incident the preceding night. After some
arguments1 hospital officials provide explicit records of the event, including the following summary:
"Stan was brought to the ER (emergency room) by two brothers and police. Police received a
phone call from Jim Warner, (872-9081, friend staying at the Conestoga residence of CATERBONE ),
who told them he believed Stan planned to take a gun, go to the beach & kill himself. Client denied
any such statement, thoughts or plans. He has legal and difficult times, financial deals which have
fallen through; license to do financial planning (his business) revoked; repossessed material goods
(airplane); being blackmailed; and several major financial deals (in which he had invested personal
funds) fall through-but NO PROBLEMS! Denied any Depression.
111. On August 14, 1987, the same family members again arrive unwanted at the residence of
CATERBONE in Stone Harbor, NJ. After another confrontation, similar to the incident of two evenings
before, CATERBONE fleas to the Avalon Police Department for another attempt to get a restraining
order. However, en route, just a few blocks from the Avalon Police Station, an Avalon Police cruiser
pulls CATERBONE over and arrests him for the following violations:
112. Driving Beyond the speed limit.
113. Driving an unregistered vehicle (all required registration materials were in Lancaster, PA)
114. Containing an empty beer can in his vehicle (which was at .1 east three days old)

CATERBONE v. PA Dept. of Human Services Page No. 20 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

115. In addition, the Avalon Police Department repossessed his car and locked it in the Avalon Police
Department compound, which was his only means of transportation and communication by car phone.
116. Again, Yolanda Caterbone, Steve Caterbone, Phil Caterbone, Mike Caterbone, Tom Caterbone
engaged in invasion of privacy, civil trespass, obstruction of justice, wrongful interference with
contracts, trespass to person, criminal trespass, forgery, undo influence, conspiracy, embezzlement,
Count IV - extortion, mental duress, slander, defamation of character, wrongful interference with
business relations; and engaged in psychiatric abuse.
117. The Avalon Police Department engaged in false arrest, false imprisonment, false statements, civil
conspiracy, malicious prosecution and/or malicious abuse of process claims arising out of the charges
and arrest; and (2) civil rights claims under 42 U.S.C. 1983, arising out of the Department's actions
or inactions during court scheduled hearings in 1987.
118. On August 24, 1987, Robert Kauffman sends a letter to Millard Johnson, CATERBONE 's client,
regarding his previous intentions of paying the $25,000 demand note of CATERBONE to Millard
Johnson. Robert Kauffman had previously promised to pay the debt to Millard Johnson during a
meeting. Robert Kauffman, told Millard Johnson to contact the Financial Management Group, Ltd.,
attorney, Craig Russell in order to file legal claim, and formally disclosed that he would: no longer
handle any discussions concerning Stanley J. Caterbone. In the last paragraph, Robert Kauffman
discloses "attorney Mr. Patterson, no longer represents CATERBONE family regarding his pending
bankruptcy or guardianship". CATERBONE never gave any legal jurisdiction or rights to any family
member, has never filed for bankruptcy, was not bankrupt, or even knew of an attorney named Mr.
Patterson.
119. Robert Kauffman and Craig Russell engage in conspiracy to commit fraud, libel, slander, defamation
of character, conspiracy to commit Count IV - extortion, and false statements.
120. On September 1, 1987, in an attempt to resolve issues, CATERBONE calls Financial Management
Group, Ltd., board member P. Alan Loss and requests a meeting with Robert. long and Scott Robertson
to explain allegations of misconduct of Robert Kauffman and Michael Hartlett and the illegal lockout of
CATERBONE . P. Alan Loss agrees and a meeting is set for September 4, 1987 at 10:00 am in the
aide Hickory Inn, a mile away from Financial Management Group, Ltd., CATERBONE requests that the
meeting be in the strictest of confidence.
121. On September 3, 1987, Attorney Joseph Roda sends CATERBONE a letter requesting payment of
$525.48 in outstanding legal tees for the meetings of July 1 & 2 and copying charges.
122. CATERBONE calls Victor of Romar Aviation (no charge) to schedule a charter flight from Cape May
County Airport to the Lancaster Airport for September 3rd at approximately 2:00 pm, the day before
the meeting with Financial Management Group, Ltd., executives.
123. On September 3, 1987, Robert Kauffman calls detective Larry Sigler of the Manheim Township Police
Department to report an alleged Terroristic threat made two days prior, on September 1, 1987, by
CATERBONE between the hours of 9:00 and 1 pm noontime. Detective Larry Sigler issues a warrant

CATERBONE v. PA Dept. of Human Services Page No. 21 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

for the arrest of CATERBONE with District Justice Murray Horton that was issued at about the same
time as the arrival of CATERBONE at Romar Aviation.
124. On September 3, 1987, Larry Sigler and the Manheim Township Police Department engage in 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. 1983, arising out of the
Department's actions or inactions in July and September 1987, and January 1991.
125. On September 3, 1987, At approximately 3:00 pm Mary Lynn Dipaolo picks CATERBONE up at
Romar Aviation for a scheduled visit and dinner. After CATERBONE becomes annoyed at Mary Lynn
Dipaolo's unjustified allegations, CATERBONE borrows her car to go home to his residence in
Conestoga and to go play basketball.
126. On September 3, 1987, at approximately 7:00 pm, upon leaving the playground, he is approached
by Nancy Arment, Financial Management Group, Ltd., secretary, who is elaborated and crying, asking
"why are you doing this?".
127. Nancy Arment of Financial Management Group, Ltd., engaged in harassment and conspiracy to
commit Count IV - extortion.
128. On September 3, 1987, At approximately 9:00 pm, in an attempt to recover additional stolen
personal and business tiles, CATERBONE proceeds to the offices of Financial Management Group,
Ltd., where he is greeted by employee Stacy Waters and allowed to enter the building. CATERBONE
insists that Stacy Walters accompany him throughout the building as he recovers files in the offices of
Robert Kauffman, Michael Bartlett, and Robert Long. In addition retrieving a Back-Up (Financial
Management Group, Ltd., records and communications) copy of the computer system which he
integrated. Upon leaving, CATERBONE temporarily disconnect the systems which he had integrated
and developed for Financial Management Group, Ltd., which fall under intellectual property rights.
Stacy Walters assists CATERBONE in loading the tiles in his automobile, and CATERBONE kisses
Stacy Walters goodbye, and awaits for her safe return to the building until leaving.
129. Stacy Walters engaged in criminal trespass, conspiracy to commit Count IV - extortion, undo
influence, mental duress, slander, defamation of character, and wrongful interference with business
relations.
130. On September 4, 1987, after midnight, upon entering his residence, CATERBONE is taken into
custody by the Conestoga Police, and requests that the files that he had taken out of the offices of
Financial Management Group, Ltd., be taken along to prove his rights to the property, and his position
within the company. CATERBONE was then taken to the jurisdiction of Manheim Township Police, at
Where the New Danville Pike meets South Prince Street, where he is arrested and taken into custody.
131. On September 4, 1987, at approximately 2:00 am, CATERBONE is arraigned before District Justice
Richard R. Reeser for the following charges: Terroristic threats; burglary; unlawful restraint; unlawful
use of computers; theft by unlawful taking; robbery; and criminal mischief.
132. Bail is set at $20,000 and CATERBONE is placed in the Lancaster County Prison. He was not

CATERBONE v. PA Dept. of Human Services Page No. 22 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

permitted to post real estate for bail.


133. The Manheim Township Police Department, Detective Larry Mathias and the Lancaster County Prison
engage in (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. 1983, arising out of the Department's actions or inactions in July and
September 1987, and January 1991.
134. September 5, 1987 - The Lancaster New Era and the Lancaster Intelligencer Journal report the
alleged crimes, reporting that CATERBONE is an ax-employee; that Financial Management Group,
Ltd., sustained $60,000 because of his actions; and that he threatened 2 female employees.
135. The Lancaster Newspapers, Inc., engaged in libel, slander, defamation of character, conspiracy to
commit fraud, conspiracy to commit Count IV - extortion, conspiracy to commit obstruction of justice.
136. The entire arrests and reports fail to acknowledge that CATERBONE is an individual lessee of the
property, and in accordance with law, still holds all of his offices of PING, Ltd., and is the founder of the
company. The above incident further facilitates the ongoing conspiracy, and publicly discredits
CATERBONE in every way, financially, professionally, and most importantly conveniently supports the
continued allegations of insanity.
137. On September 6, 1987, all attempts to post bail are denied. Robert Beyer appears for visitation at
the Lancaster county prison, completely unexpectedly and unsolicited. Robert Beyer offers his services
and representation with regards to only defending the criminal charges.
138. On September 9, 1987, CATERBONE is given an ultimatum by the Lancaster county prison
authorities, Robert Bayer, Yolanda Caterbone, and Mary Lynn Dipaolo of posting the required bail only if
CATERBONE voluntarily admits himself into the Psychiatric Unit of St. Joseph Hospital, or remains in
the Lancaster County prison.
139. CATERBONE is released from Lancaster County prison, and immediately escorted to St. Joseph
Hospital and admitted into the Psychiatric Unit.
140. On September 9, 1987, Yolanda Caterbone, Robert Beyer, and Mary Lynn Dipaolo engage in
conspiracy to commit fraud, false statements, and conspiracy to commit Count IV - extortion,
obstruction of justice, and false imprisonment.
141. On September 15, 1987, CATERBONE questions the legality of the ultimatum for posting bail, and
upon learning that it is unlawful, arranges for his discharge - Upon his discharge, the St. Joseph
Hospital administrators learn that Financial Management Group, Ltd., had terminated his health
insurance, and demand payment of $3, 064.60 for the six days of hospitalization. CATERBONE is not
able to pay, and leaves the hospital and returns to his residence of Conestoga, PA.
142. St. Joseph Hospital engaged in collusion to commit fraud, Count IV - extortion, libel, slander, and
defamation of character, false imprisonment, obstruction of justice, and false statements.
143. On September 15, 1987, CATERBONE receives an invoice from St. Joseph Hospital for $3,064.00.
144. On September 16, 1987, CATERBONE receives a call from Howard Eisler, an Investigator for the

CATERBONE v. PA Dept. of Human Services Page No. 23 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Pennsylvania Securities Commission who requests a meeting with CATERBONE . A meeting is


scheduled for September 29, and CATERBONE arranges for Robert Beyer and Millard Johnson to
attend.
145. On September 21, 1987, ISC and the British Ferranti firm agree in principal to merge, creating what
appeared to be a $1.5 billion defense/electronics conglomerate, after six months of negotiations.
146. On September 22, 1987,CATERBONE and James Warner settle on the real estate deal, of 433 w.
Marion Street, which CATERBONE had sold to James Warner, at a distressed price, which still yielded
a profit. The profits of the transaction were paid directly to Millard Johnson, with CATERBONE getting
none of the proceeds. Millard Johnsons funds were extorted by Commonwealth National Bank and
Lancaster Aviation.
147. The parties engaged in Count IV - extortion of funds, collusion to commit fraud, and civil conspiracy.
148. On September 25, 1987, Art Kerst visits CATERBONE at his residence and accuses him and his
cousin of being connected with the Mafia, and conspiring together, in order to provide the financing of
the $50 million shopping center in Florida, that was originally owned by the Fisher/Sponougle Group,
and diverting the profits of the deal away from him (Art Kerst) and the Fisher Sponougle Group.
149. CATERBONE becomes infuriated, not only at the absurd allegation, but the timing, when in fact
CATERBONE had bean fighting for his life for the past 4 months, and to even consider such activities
would be insane.
150. On September 29, 1987, Howard Eisler conducts a meeting at the Residence of CATERBONE , with
all parties consenting to have the meeting recorded by CATERBONE .
151. Howard Eisler was not able to provide a believable explanation of what he was investigating or why
he had contacted CATERBONE . CATERBONE explains all of the circumstances regarding his prior
meeting with ISC/Chem Con executive Larry Resch, and details his allegations of wrongdoing of James
Guerin/ISC/Chem Con6 and the discussions of that meeting on June 23, 1987, with ISC executive
Larry Resch. CATERBONE also discloses his ISC stock holdings, and his relationships with ISC and
Chem Con associates.
152. Howard Eisler, the Pennsylvania Securities Commission, and the Commonwealth of Pennsylvania
engaged in a cover-up, obstruction of justice, public corruption, collusion and conspiracy to commit
Count IV - extortion.
153. Millard Johnson testifies to Howard Eisler during the meeting regarding a previous meeting in August
with Robert Kauffman, where Robert Kauffman tried to persuade Millard Johnson to fabricate a story
that a legitimate personal loan of $25,000 to CATERBONE in June of 1987, was instead intended for
investment and embezzled by CATERBONE . Robert Kauffman wanted Millard Johnson to support this
story to authorities. CATERBONE spent more than 4 hours explaining and detailing all of his
allegations and business activities including how he founded and built Financial Management Group,
Ltd.,; his mortgage banking activities; the illegal repossession of his aircraft; all of the fabricated
arrests; and the chronology of events after the June 23 meeting with ISC executive Larry Resch.

CATERBONE v. PA Dept. of Human Services Page No. 24 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Howard Eisler ended the meeting and requested copies of documents from CATERBONE .
154. On September 1987, Scott Robertson, begins work with American Helix founder, David Dering, to
secure financing for the venture and manufacturing facility to manufacture CD Audio & CD-ROM
Compact Discs, an extension of the "Digital" technologies activities of CATERBONE .
155. David Dering solicited Financial Management Group, Ltd., to provide help in securing the necessary
$5 million of capital required .for the venture. David Dering was referred to Financial Management
Group, Ltd., by Norris Boyd (Financial Management Group, Ltd., shareholder) and Bob Fogarty, who
had previously been working with CATERBONE on various financing arrangements. It was
CATERBONE that elected to allow both Scott Robertson and Rob Long to participate in the venture
capital markets. Scott Robertson would later conduct negotiations with High Industries, Inc., to provide
the entire $5 million financial package. Scott Robertson also was named executive Vice President of
American Helix Technology Corporation, and would resign from Financial Management Group, Ltd., in
order pursue the venture on a full time basis.
156. David Deering, Scott Robertson, and Financial Management Group, Ltd., engaged in collusion and
conspiracy to commit Count IV - extortion, and violated several anti-trust violations.
157. James Boyer, formerly the lead recording engineer for Billy Joel, was also recruited to form the
principals of American Helix, consisting of Dave Dering, Scott Robertson, and James Boyer In mid
December of 1990, David Dering will confirm the above formation of American Helix to CATERBONE ,
after CATERBONE alleges violations at the 1934 Sherman Antitrust Act, concerning his activities in
the digital technologies industries, and the undo influence by Scott Robertson, Robert Long, and High
Industries, as well as criminal conspiracy, of all parties concerned in the destruction of his business
affairs that began in June at 1987.
158. On October 2, 1987, District Justice Murray Horton conducts a preliminary hearing for all
criminal charges against CATERBONE . Attorney Robert Beyer refuses to discuss any issues regarding
his individual lease of the Financial Management Group, Ltd., offices, or any issues resulting in the
illegal activities of anyone other than CATERBONE District Justice Murray Horton orders CATERBONE
to defend all of the criminal charges in the next term of criminal court in Lancaster County.
CATERBONE ordered to be bound over for the next term of criminal court of Lancaster County and
remain free on bail.
159. District Justice Murray Horton engaged in obstruction of justice, collusion and conspiracy to commit
Count IV - extortion, public corruption, and violated several anti-trust violations
160. On October 4, 1987, CATERBONE meets with high school classmate and attorney Mike
McDonald at CATERBONE 's residence, to discuss legal action and recourse against all involved. Mike
McDonald accepts the case, and CATERBONE provides all of the relevant information and
documentation.
161. Mike McDonald will engage in negligence, and collusion to commit Count IV - extortion.
162. On October 12, 1987, CATERBONE travels to New York city to the offices of Intercon Special

CATERBONE v. PA Dept. of Human Services Page No. 25 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Services (white collar crime detective agency) in order to attempt to obtain assistance in all of the
circumstances. Intercon Special Services, which is staffed with ax FBI agents, estimates that the
services would cost at least $25,000.
163. On October 16, 1987, CATERBONE survives a near death collision on the New Danville Pike, when a
driver ran through a stop sign at the intersection of Long Lane, while traveling at a speed of 45 mph.
The driver hit CATERBONE 's Jeep Cherokee directly in the passengers door, sending CATERBONE in
a free tall, spinning a full 180 degrees and landing upside down in a field, facing the opposite direction.
CATERBONE was trapped in the car, while a passerby attempted to brake the windshield to get him
out. CATERBONE 's car was completely demolished, and he sustained a whiplash. CATERBONE was
now without any means of transportation, in addition to all of his other mitigating circumstances.
164. On October 18, 1987, The Unemployment Compensation Review Board formally and officially decides
against a claim for benefits by CATERBONE and cites misconduct and wrongdoing as the reasons;
states that CATERBONE managed the day to day operations, and used the false arrests as the reason
to deny benefits.
165. The Pennsylvania Unemployment Office of the Department of Public Welfare committed fraud, and
were negligence in providing benefits.
166. On October 27, 1987, Lancaster Aviation files a civil suit with District Justice Murray Horton for
alleged unpaid bills of some $5,000.
167. In late October or early November, CATERBONE was driving in the Southern end of the County, in
Conestoga, when he noticed a vehicle following closely. It was about 9:00 pm in the evening, and the
roads were deserted in this rural area. CATERBONE began turning, not going in any particular
direction. The ensuing vehicle kept following, and CATERBONE quickly found himself in a high-speed
car chase, that lasted at least 30 minutes. Finally, CATERBONE arrived near Millersville, and was able
to loose the vehicle.
168. On November 9, 1987, CATERBONE visits with Parent Federal Savings and Loan's president, John
Depatto, to discuss him problems in meeting his current mortgage payments. John Depatto
immediately disclosed to CATERBONE that foreclosure proceedings have officially begun, and that the
full loan of approximately $110,000 is immediately due. CATERBONE stands up from the conference
table and declares, "You tell Mr. James Guerin he is in trouble", and abruptly walks out of the offices.
169. John Depatto engaged in collusion to commit Count IV - extortion, and conspiracy to commit fraud.
170. On November 11, 1987, CATERBONE meets with representatives of Tabor Community Services, of
Lancaster, Pa, in order to formally apply for assistance to the Pennsylvania Homeowners Emergency
Mortgage Fund, in order to subsidize his monthly mortgage payments, in an effort to avoid becoming
homeless. CATERBONE supplies Tabor community services with financial data and supportive
documents relating to his circumstances, which must be found to be out of the applicants control in
order for financial assistance.
171. On November 18, 1987, ISC-Ferranti settlement takes place with Guerin becoming the deputy

CATERBONE v. PA Dept. of Human Services Page No. 26 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

chairman of Ferranti and exchanges his is million shares of ISC stock for over 32.2 million shares of
Ferranti stock.
172. On November 19, 1987, CATERBONE contacts attorney Jeff Jamounou of McNeese, Wallice, and
Nurick, who CATERBONE retained as legal counsel for the security law, and demanded a legal opinion
as to the offices that CATERBONE formerly held, including his Financial Management Group, Ltd.,
Board of Directors seat. Jeff Jamounou disclosed that he no longer represented Financial Management
Group, Ltd., in that capacity, and that Craig Russell was the attorney now handling issues such as that.
173. On November 23, 1987, A Referees Decision by the unemployment Compensation Review Board
upholds a recent decision to deny CATERBONE from collecting any benefits, again citing misconduct
and wrongdoing. CATERBONE calls Howard Eisler, of the Pennsylvania Securities Commission and
demands an explanation for not returning to obtain any documents as promised in the meeting of
September 29th. The phone call was recorded.
174. On November 25, 1987, CATERBONE receives a letter from the Pennsylvania Securities
Commission, Howard Eisler, citing a misunderstanding and lack of communication, and now requests
that CATERBONE submit a written complaint of all allegations discussed in the meeting of September
29, 1987.
175. On November 30, 1987, CATERBONE fears that the conspiracy now involves local and state
authorities, and delivers 9,079 documents to the Good Sheppard Industrial Services, of Allentown, PA
to be transferred to microfiche in order to preserve the authenticity of the documents.
176. CATERBONE feared that an attempt would be made to destroy all incriminating evidence, and given
the number of documents, and the lack of money, their safekeeping was becoming at great risk.
177. For security reasons, and to remain anonymous, CATERBONE uses the Global Entertainment
Group, Ltd., company for the transaction with the Good Sheppard Industrial Services company.
178. On November 26, 1987 , CATERBONE visits the Pennsylvania State Police barracks in Lancaster, to
file a formal complaint to the White Collar Crime Division. CATERBONE was treated as if he was
making the entire story up, and received no help.
179. On December 1, 1987, In continuing the efforts of the intervention of authorities, CATERBONE
visits the PA State Capitol building and personally delivers documents to the offices of: Pennsylvania
Governor Casey; the Pennsylvania Securities Commission; and Financial Management Group, Ltd.,
attorney Jeffrey Jamounou of McNeese, Wallice, & Nurick, all of Harrisburg, PA. During the same day,
at a press conference being held by Mark Singleton, CATERBONE approaches State Senator Sib
Armstrong and Sen. Armstrong refused to talk and literally ran away in the middle of the State Capitol.
180. On December 4, 1987, Financial Management Group, Ltd., holds its first annual shareholders
meeting, for the year ended June 30, 1987, at the Treadway Resort Inn (Eden Resort Inn owned by
Drew Anthon). In an effort to promote propaganda against CATERBONE , and to support the
fabricated allegations of insanity, Financial Management Group, Ltd., president hired armed security
personnel to guard the doorways of the meeting, insinuating that the meeting was under a threat of

CATERBONE v. PA Dept. of Human Services Page No. 27 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

violence, and to collaborate his recent allegations of Terroristic threats, which CATERBONE was
previously arrested and awaiting trial.
181. Financial Management Group, Ltd., engaged in libel, slander, and defamation of character.
182. On December 17, 1987, The United States Postal Inspector acknowledges receipt of formal complaint
from CATERBONE regarding executives from Financial Management Group, Ltd., illegally changing or
address; opening of confidential personal and business mail; and withholding and possibly destroying
confidential personal and business mail at CATERBONE 's leased property of 1755 Oregon Pike,
Lancaster, PA, also the headquarters of Financial Management Group, Ltd.,.
183. On January 15, 1988, CATERBONE drives to San Diego, California, and meets with attorney Sandra
Gray, and International Signal & Control, Plc., uses his dire illegalities and to find access to due process
of the law. In an effort to avoid the political consequences of obtaining legal counsel, CATERBONE
thought that it would be easier to find adequate and effective counsel from out of state. In addition,
CATERBONE needed some time away from his persecutors.
184. On January 26, 1988, the Pennsylvania Homeowners Emergency Mortgage Assistance Program
formally and officially denies CATERBONE of benefits citing the following: " Applicant was terminated
from job Financial Management Group, Ltd.,), therefore was not suffering from circumstances beyond
his control".
185. On March 14, 1988, CATERBONE is served notice by Lancaster Constables regarding Parent
Federal .Guerin' Bank) v. CATERBONE Mortgage Foreclosure of his residence at 2323 New Danville
Pike, Conestoga, PA.
186. On May 1988, CATERBONE is forced to sell his residence, and subdues to the undo influence that
he was responsible for all circumstances, and moves to Florida with his brother.
187. On October 23, 1988 CATERBONE , destitute, without a personal residence, automobile, or any
income, and with accumulated debts of more than $65,000 from all related incidents in the 1987
"Blackmail", sells his Financial Management Group, Ltd., holdings to Robert Kauffman and is given
$72,000 in proceeds at settlement. This by and of itself will be proven to be Count IV - extortion.
Robert Kauffman was in fear of CATERBONE exercising his large voting rights in the upcoming
Financial Management Group, Ltd., annual shareholders meeting, which included the election off
Financial Management Group, Ltd., Board of Directors. CATERBONE had approximately 19% of the
outstanding shares of Financial Management Group, Ltd., and had the potential to vote someone of his
selection to a Board seat. Scott Robertson had solicited the deal for both parties, and acted as
negotiator for both.
188. On November 23, 1988 CATERBONE completes a management-consulting proposal for Scott
Robertson, Tony Bongiovi, and American Helix for Power Station Studios of New York. Scott Robertson
had solicited CATERBONE to New York to review the current management and to author a proposal to
help Tony Bongiovi manage the recording studio and all special projects. CATERBONE spent time in
New York and interviewed the Power Station management team and personnel. The Digital Movie,

CATERBONE v. PA Dept. of Human Services Page No. 28 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Mutant Mania project had already been terminated in 1987.


189. On March 13, 1989, Scott Robertson, cofounder and executive vice president of American Helix
Technology Corporation, a wholly owned subsidiary of High Industries, Inc., of Lancaster, Pa, recruits
CATERBONE for marketing help. CATERBONE accepts a weekly consulting contract, with no long-
term commitment, in light of his efforts with Radio Science Laboratories, Inc., Scott Robertson wanted
CATERBONE to help develop the new and emerging CD-ROM business, which was essentially "Digital"
technologies. American Helix was one of 10 domestic manufacturing facilities located in the
continental U.S., for the production of CD-Audio International Signal & Control, Plc., (CD's or Compact
International Signal & Control, Plc.,), and one of only a few CD-ROM manufacturers.
190. On April 17, 1989, CATERBONE incorporates Radio Science Laboratories, Inc., to further his
interest in microwave technologies, and the telecommunications industry. The company is a venture
with James & Lynn Cross, both capable design engineers with over 30 years experience. The company
was trying to secure financing for the development of a manufacturing enterprise for Low Noise
Amplifiers, or LNA's as they are commonly referred.
191. On July 8, 1989, William A. Clark, Guerin's former top INTERNATIONAL SIGNAL & CONTROL, PLC.,
attorney, sues Guerin for $2 million, the balance Clark claims is owed him in a $2.75 million settlement
(over an employment dispute) accepted by Guerin in March. Joe Roda is legal counsel for William
Clark. Joe Roda was the first attorney that CATERBONE had gone to for help, who told CATERBONE
to quit fabricating things.
192. On July 19, 1989, CATERBONE , Scott Robertson, and American Helix agree on a one year
employment contract, which American Helix will never fulfill in its entirety, and will be terminated in
the following April.
193. On October 10, 1989, British Labor unions urge Ferranti to drop all INTERNATIONAL SIGNAL &
CONTROL, PLC., related companies, claiming job loss in Scotland alone could exceed 8,000 workers.
194. On October 16, 1989 , A 1987 report commissioned by Sebastian de Ferranti surfaces showing that
the company bearing his family's name was cautioned not to merge with INTERNATIONAL SIGNAL &
CONTROL, PLC., by Lazard Brothers. Ferranti chairman, Sir Derek,Alun Jones comes under tire by
stockholders who demand his resignation during the company's annual meeting in London.
195. On October 24, 1989 , Scotland Yard joins the U.S. in the Guerin probe. Federal agents will travel to
London in January to coordinate the investigation.
196. On November 1989, Ferranti begins firing INTERNATIONAL SIGNAL & CONTROL, PLC.,
executives still within the company.
197. On December 1, 1989, Ferranti sues Guerin and three former INTERNATIONAL SIGNAL & CONTROL,
PLC., executives, including Larry Resch, for $198 million each, claiming all of INTERNATIONAL SIGNAL
& CONTROL, PLC., worth was a sham built on bogus contracts.
198. On April 1990, The American Helix Board of Directors, lead by S. Dale High/High Industries, vote to
terminate Scott Robertson of American Helix, continue the financing of the CD-ROM business which

CATERBONE v. PA Dept. of Human Services Page No. 29 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE was directly managing. The joint venture agreement with Network Technologies, or
Washington, D.C., had lost an estimated $450,000 in the past 9 months, and the technologies, which
were to be delivered, had proven to be worthless. Scott Robertson had solicited, negotiated, and
administer the deal, CATERBONE had raised serious concerns at to the capabilities of the
technologies, the business, and Network Technologies, early in the project. High Industries then
conducted several meetings with CATERBONE to purchase the business, however, CATERBONE had
told the executive in a meeting on Good Friday, that he was solely responsible for any business that
was left, and any there was no real value. High Industries agreed to pay CATERBONE his weekly
consulting tee only until June 30, in hopes of negotiating an agreement to keep American Helix in the
CD-ROM business, which was only feasible with CATERBONE , because of his knowledge and expertise
in "Digital" technologies.
199. On May 5, 1990, CATERBONE is awarded his first government contract for CD-ROM technologies
with the National Institute of Standards and Technologies (NIST), of Gaithersburg, Maryland. NIST is
the technology arm of the federal government, similar to the National Institute of Health (NIH), of
Bethesda, Maryland. Because of the technological complexities of the project surrounding the UNIX
system environment, Phillips DuPont (PSO) was the only other competitor in the U.S.. Computer
Scientist, John Garofolo, will coordinate the project, which is responsible for the research and
development of speech recognition systems for the Defense Advanced Research Projects Agency
Information Science and Technology Office (DARPA-ISTO) The Automated Speech Recognition Group,
will supervise the project for MIST. The group will develop CD-ROM'S containing speech corpora for
the scientific I community, including: Massachusetts institute of Technology (MIT); Texas instruments
(TI); SRI International; and other academic institutions.
200. On May 21, 1990 CATERBONE and American Helix Technology Corporation, represented by David
D. Dering, sign an agreement authorizing CATERBONE and Advanced Media Group to continue all CD-
ROM activities and to market the services to the markets-at-large.
201. On October 1, 1990 CATERBONE and American Helix Technology Corporation, represented by
David D. Dering, sign another agreement authorizing CATERBONE and Advanced Media Group to
continue all CD-ROM activities with an agreement for payments from all activities. CATERBONE was
afforded office space, secretarial, office supplies, marketing materials, and the continuation of all
support personnel of American Helix without expense to CATERBONE . CATERBONE was entitled to
represent all CD-ROM services to the markets-at-large. CATERBONE was to be paid on all
replication, premastering, and mastering charges to the clients. All other services were billed directly
by CATERBONE . The contract and agreement will continue until the negotiation of another
agreement is reached and agreed upon. Both David D. Dering and CATERBONE have signed and
executed the agreement. The agreement was dated and signed on November 2, 1990. All previous
invoices and work by CATERBONE was grandfathered into this agreement.
202. On October 11, 1990, Department of Justice claims proceeds from the sale of his Naples home after

CATERBONE v. PA Dept. of Human Services Page No. 30 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

paying the $600,000 outlined in his guilty plea agreement to the Justice Department. Ferranti has
asked the court to assist in collecting over $189 million from Guerin, an amount awarded the firm by a
British court when it said Guerin failed to convince the court he had nothing to do with the 31 billion
fraud. CATERBONE begins to organize. all relevant documents, stored in some 30 boxes, regarding
all circumstances involving the "1987" blackmail and criminal conspiracy, in hopes of finally resolving
all outstanding issues, by taking action tar legal recourse. In response from the effects of Post
Traumatic Stress Syndrome, CATERBONE had rescinded efforts for due process immediately after
loosing his home and businesses. In similar matter of being brainwashed, CATERBONE was fearful
of pursuing due process of the law in fear of continuing reprisals, intimidation, and retaliation.
However, upon the public disclosure of the Federal courts indictments into illegal ISC activities,
CATERBONE began to review his case, and find distinct and substantiated activities associated
directly to his disclosure of fraud within ISC.
203. On January 9, 1991 Lt. Madenspacher of the Manhiem Township Police Department call
CATERBONE at his lab/office in him home at approximately 2:00 pm. Lt. Madenspacher explains that
he had received a copy of the letter to the Department of Defense, that Detective Larry Mathias had
forwarded to him. Lt. Madenspacher questioned his motives of the letter and stated: "What are you
going to do.. We (Manhiem Township Police Department) just don't want to see a multi-million
do00000000023llar law suit come down our way.." CATERBONE responded, "You know that I was an
individual leassee of that property, and in addition I had never resigned any offices or my Board of
Director's seat of Financial Management Group, Ltd., .. You also know that I had met with Larry Resch
of ISC on June 2S, 1987, and that I made allegations of misconduct.." Lt. Madenspacher responded,
"We were forced into that (the arrests of CATERBONE on Sept. , 1987), we were caught between a
rock and a hard place, we were forced into that". Lt. Madenspacher then changed the subject to
"Digital" technologies, and described the activities of the police department of using the same in the
telephone surveillance of criminal suspects. Lt. Madenspacher then requested to meet with
CATERBONE . CATERBONE agreed, however due to his current busy schedule, confirmed he would
contact him later to schedule a meeting.
204. On January 10, 1991 CATERBONE sends a letter to Lt. Madenspacher of the Manheim Township
Police Department, to schedule a meeting for Thursday, Jan. 17th at 3:00 pm, at his office at American
Helix Technology Corporation, at the Green field Corporate Park. CATERBONE requested a response
only if the time was in conflict of his schedule.
205. ON January 17, 1991 Lt. Madenspacher fails to show up for the scheduled meeting with
CATERBONE at Amen can Helix, and never contacted him before that date to change the meeting, or
called to apologize for not being able to keep the prior commitment.
206. On January 18, 1991 CATERBONE sends documents concerning the Blackmail" of 1987 to
several reporters of the Lancaster Newspapers,: Tim MeKeele; Earnest Schriber; and Thomas Planner.
Tim MeKeele also received a tape with some excerpts of the September 29, 1987 meeting with the PA

CATERBONE v. PA Dept. of Human Services Page No. 31 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Securities Commission, where CATERBONE discusses allegations of misconduct against J. Guerin and
ISC.
207. On January 19, 1991 CATERBONE , Al Thornburg, with Dave Dering. On Saturday morning,
CATERBONE went to the American Helix facility to pick up some computer hardware. Upon
attempting to unlock the side door entrance with his 24-hour access security card, the door would not
unlock. Assuming something may have been wrong with the security system, CATERBONE drove to
the residence of Al Thornburg (former SONY DADC engineer from Terre Huette, Indiana), the engineer
for American Helix. CATERBONE asked Al to drive over to see if his access card was operable.
CATERBONE and Al Thornburg entered the building with Al Thornburg's access card and found that
his access card was inoperable throughout the building. Al then said, "Stan, your locked out".
CATERBONE said, "I was in here until 5: 00pm last evening and my access card worked fine.
CATERBONE proceeded to pick up the tape back-up and said "Let's go. I don't want to be arrested
for burglary, like I was 3 years ago. I don't know what the Hell is going on".
208. As CATERBONE and Al Thornburg left the computer room, Dave Dering appeared. This was quite
unusual, since Al Thornburg and CATERBONE often work on Saturdays, and Dave Dering had not
been in the plant on a Saturday for the past few months. CATERBONE said to Dave "Dave, why am I
locked out?" He said "talk to Jim Boyer". CATERBONE , quite emphatically said, "why am I locked
out?". "Stan, you'll have to talk to Jim". CATERBONE said, "Dave, you are the president, my contract
is with you, not Jim Boyer". Dave said "Now, Stan, just calm down. This isn't a conspiracy against
CATERBONE ." CATERBONE told Al I'm getting out of here. CATERBONE and Al Thornburg left the
building, and Al was especially suspicious of the events and especially why suddenly Dave Dering
showed up at the building on that particular Saturday, only moments after we arrived at the building.
209. On January 21, 1991 CATERBONE Faxed a letter to David D. Dering, afraid of the "LOCKOUT" and
the lack of any events or activities that would explain such a drastic and damaging action of American
Helix citing Dave Dering in breach of CATERBONE S business agreement and in conspiracy to
eliminate or sabotage CATERBONE S business and reputation. The fax also contained a cc: to High
executives, that was never sent.
210. On January 22, 1991 CATERBONE and Dave Dering Dave Dering had a telephone conversation;
"Stan, how did you get in here last night?". Stan "Dave, what are you talking about?, I won't go near
that building, the last time I went back into my own building after being illegally locked out, I ended up
in jail". Dave Dering " How did you get in here and steal your fax?". CATERBONE replied, Dave, why
would I want to steal the fax that I wrote?" Dave Dering "You have caused a big problem. You put me
in a difficult position I don't know if I can rectify things with the 'High's' and especially Allon Lefevre.
I always went to bat for you how do I trust you?" A meeting was set up for 6:00 pm later that day.
211. January 22, 1991 CATERBONE met with Dave Dering and he gave three (3) reasons for the
"LOCKOUT", although never willing to engage in any real conversations relating to those issues:
212. The computer system went down, causing a problem in the security system.

CATERBONE v. PA Dept. of Human Services Page No. 32 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

213. Jim Boyer did not reinstall CATERBONE S access identification number for the security system.
214. Jim Boyer was to talk to CATERBONE on Friday, the day before the Lockout, concerning eliminating
your access to the facility.
215. Dave Dering said "Jim Boyer said that he can take over the CD-ROM business no problem". Dave
Dering talked about trust and who to trust. Dave Dering reluctantly agreed to continue the business
relationship and adhere to the agreements, however' only on an arms length basis. CATERBONE was
no longer allowed in the building except during normal business hours. CATERBONE was no longer
to have a private office.
216. Dave Dering never addressed the issues or the circumstances that preceded the "LOCKOUT", and
never addressed the reasons as to why there was any reason to modify the agreement concerning my
business American Helix that was established back in June of 1990. There were no disputes, activities,
or conversations that gave any indication that American Helix, Dave Dering, or Jim Boyer intended to
change or modify our relationship.
217. On January 24, 1991: CATERBONE met with Allon Lefevre (Executive Vice President of High
Industries responsible for overseeing all subsidiaries). CATERBONE called a meeting Allon Lefevre to
discuss the following:
218. The R.R. Donnelly merger and acquisition of American Helix.
219. The "LOCKOUT".
220. Allon Lefevre asked questions regarding CATERBONE S contact with R.R. Donnelly and Barry Click
(President of R.R. Donnelly GeoSystems, former MAPQUEST). CATERBONE quickly made it clear that
Barry Click contacted CATERBONE in December after seeing CATERBONE S advertisement in the
CD-ROM Enduser magazine, published by Linda Helgerson. Barry Glick was elated to see someone in
the local area that was involved with CD-ROM technologies and asked to visit with CATERBONE .
Allon asked many questions about Donnelly and Barry Click. CATERBONE made it clear that during
the visit, and from the discussions regarding the strategic plan of Donnelly, CATERBONE suggested
that there might be an opportunity for a merger or acquisition with American Helix. CATERBONE also
discussed the capabilities for the facility to be a dedicated CD-ROM manufacturing facility.
CATERBONE notified Allon Lefevre that Barry Glick was awaiting a call from CATERBONE the next
day concerning the appropriate contact to discuss the subject of an acquisition. Allon assured
CATERBONE that the High's would not contact Donnelly directly and would await a call from Barry
Click.
221. Regarding the "LOCKOUT" CATERBONE gave the three reasons that Dave Dering had provided
during our meeting a few days before to Allon Lefevre. CATERBONE told Allon that after
"CATERBONE had built a strong foundation for the CD-ROM business everybody suddenly wants it
back, six months ago, nobody wanted anything to do with it, not to mention the capital that
CATERBONE had invested in it".
222. Allon Lefevre was only concerned with why CATERBONE had sent the Fax. "Why did you send the

CATERBONE v. PA Dept. of Human Services Page No. 33 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Fax? I just don't understand why you sent the Fax". Allon was not concerned with or wanted to
discuss the issue of why CATERBONE was "LOCKED OUT". Allon asked CATERBONE the problems
surrounding American Helix and what solutions CATERBONE thought could help restore the company
to stability. CATERBONE discussed the lack of systems, the lack of a strong business foundation, and
most Importantly the lack of management. He asked CATERBONE about Dave Dering and
CATERBONE responded, "Dave Dering is an engineer, not a manager, he has no real management
skills". Allon then asked me how to approach the meeting with Donnelly. CATERBONE suggested that
they just sit and listen to their ideas. CATERBONE asked Allon to assure me that this meeting would
be kept confidential between the two of us. He said "CATERBONE will have to tell Dave sooner or
later, and that he was not gong to get in the middle of the two of us".
223. February 15, 1991 CATERBONE met with Jim Tritch & Allon Lefevre. Allon Lefevre had requested a
meeting to be certain that CATERBONE was not representing the High's or American Helix.
CATERBONE had told Allon that CATERBONE was not concerned with the merger issue, that the
Advanced Media Group was continuing discussions with Barry Click on various information
technologies, which were strictly my business. CATERBONE also informed him that Barry Click had
told me "Stan, we are quite honestly more interested in you rather than the facility or American Helix".
CATERBONE also informed Allon that Barry asked if CATERBONE would make a trip the Chicago,
the corporate headquarters to discuss the technologies and specifically the manufacturing technologies
of CD-ROM.
224. CATERBONE made it perfectly clear that the two (2) contacts for a merger or acquisition that
CATERBONE had provided to the High's were contacts that approached CATERBONE . CATERBONE
also notified Lefevre and Tritch that Dave Dering had requested CATERBONE to look for a joint
venture partner as far back as November. CATERBONE also made it perfectly clear that CATERBONE
would not solicit any leads: unless CATERBONE was to be compensated. Alien Lefevre suggested
that it may help CATERBONE to look for contacts, and CATERBONE quite emphatically restated my
contentions that CATERBONE would not do any work without compensation.
225. Jim Tritch acknowledged that CATERBONE was the only person responsible for the development of
the CD-ROM business, and the only person with any real technical expertise in information
technologies and CD-ROM, and that neither American Helix nor High Industries had the capabilities to
manufacture CD-ROMs without CATERBONE . Jim Tritch also admitted that the Advanced Media
Group, Ltd., would have to be a purchased separately in the case of any merger or acquisition of
American Helix. Jim Tritch also stated that in his initial meeting with Donnelly that they like me and
wanted to continue to work toward a business relationship. Both Allon and Jim stated that they would
like to continue to work with me in the CD-ROM business.
226. On February 15, 1991 American Helix conducted a Staff Meeting. Through an employee that was
present during the meeting, CATERBONE had learned that Dave Dering "spent 20 minutes
"slimming", or slandering and defaming the character of CATERBONE , and called CATERBONE a

CATERBONE v. PA Dept. of Human Services Page No. 34 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

RUNAWAY EX-CONVICT THAT WOULD END UP IN JAIL SOON". Dave Dering also told the group that
CATERBONE had almost ruined the company, and CATERBONE should not be trusted. CATERBONE
was also informed the previous day that David Dering was telling persons that the reason that
CATERBONE was out of town in December was because "CATERBONE was on the run from
authorities".
227. CATERBONE was in Captiva, Florida, scanning documents and indexing the CD-ROM AMG Legal
Prototype Disc concerning the ISC Cover-UP.
228. On January 19, 1991 High Industries American Helix illegally and without notice locks
CATERBONE out of his office and the facility of American Helix, who was currently under a joint
venture agreement with CATERBONE and his Advanced Media Group, Ltd., for his digital technologies
business. This "Lock-Out" was similar to that of Financial Management Group, Ltd., on July 1, 1987.
Again conveniently when CATERBONE had raised issues and allegations involving Guerin and ISC.
229. On January 21, 1991 In fear and confused about his involvement, and in respect to the massive
fraud of the ISC/Ferranti merger, CATERBONE sends a package to Ferrantis legal counsel in England
by way of United Postal Service' Overnight International Delivery Service (Tracking Number 1773 0619
670).CATERBONE was in fear that a potential "Cover-Up" by U.S. authorities, and specifically the
Lancaster community, would place his life in danger, and wanted to insure that the information
concerning his knowledge of ISC misconduct before the lSC/Ferranti merger, and his disclosure to local,
state, and federal authorities in the summer of 1987, at least would be received by Ferranti, reducing
the possibility of someone terminating his life in order so that these circumstances would not be used
as an asset in the present Ferranti Legal efforts.
230. On Jan 22, 1991In an effort to support his allegations of misconduct and the allegedly threatening
activities of CATERBONE , American Helix president Dave Dering has all of the locks in the building
changed by a professional locksmith, which is nothing more than an act of propaganda. Later that day,
CATERBONE and David Dering meet. David Dering resolves to only allow CATERBONE in the
building during normal business hours, and does not allow him to occupy his own office. CATERBONE
has never been given any reason why he was locked out in the first place.
231. On February 1, 1991 ABC News 20/20 features the story "Weapons Sales to Iraq" about the
ISC/Cardoen cluster bomb technology and how it got to Saddam Husain.
232. On Feb 17, 1991 CATERBONE receives a letter from Sandra K. Paul, of the Citizens Ambassador
Program, a division of People to People International, notifying him that he has been selected to
participate in the upcoming Printing and Publishing Delegation to the Soviet Union and Eastern Europe
in the coming August. People to People International is a nonprofit organization started by the late
Dwight D. Eisenhower to facilitate the communications of experts from various professions throughout
the world. The objective of the delegation was to exchange ideas, information, and technologies of the
printing and publishing industries with American counterparts in the Soviet Union, and various Eastern
European countries.

CATERBONE v. PA Dept. of Human Services Page No. 35 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

233. On February 22, 1991 Federal prosecutors seize $800,000 from Clark, claiming he was privy to
information about ongoing criminal acts within ISC that generated the tainted cash.
234. On February 1991 In an American Helix staff meeting, with all employees present, but CATERBONE
, president David Dering had spent approximately 20 minutes alleging that CATERBONE almost
ruined his company, and that he "is a runaway ex-convict, that will end up in jail very soon". Engineer
Al Thornburg, immediately following the meeting, disclosed the above discussion.
235. On May 23, 1991 At approximately 2:00 pm, Jay Curtis, (appearing as a Department of Defense
contractor, who had recently solicited the services of CATERBONE and his Advanced Media Group,
Ltd., to provide engineering in the development of "Digital" simulation and training applications for
various U.S. Military Logistics bases) had called CATERBONE . The following is synopsis of the
conversation: "Because of your recent discussions concerning your knowledge and information about
the ISC Scandal, and an alleged "Cover-Up", I had to do a background check on you, to insure against
any problems when including you in by proposal to the U.S. Department of Defense... Everyone backs
up your story, and is looking over your documents now, including the CIA, IRS, SEC, FBI, Scotland
Yard, Attorney General, the British M-4, and others. They are all verifying and confirming your "cover-
up" allegations.. They don't know what to tell the Press and Media "I also know that you submitted
documents to Mr. Thomas Flannery of the Lancaster Intelligencer Journal". "How did you know about
the CIA and its involvement with ISC, how did you know that, and what do you know?" Jay Curtis kept
pushing CATERBONE on the CIA issue, and what he had known and how he knew, CATERBONE
kept telling him that the whole situation was to emotional, and that he was afraid for his life.
CATERBONE had to eventually tell Mr. Curtis that he could not discuss this anymore. He abruptly
changed the subject and hung up on Mr. Curtis. CATERBONE immediately went to a friends house,
and disclosed that fact that he was in fear for his life. He quietly sat on the steps with his friend, Abby
(2 years old). Later that night, his friend Dave Pflumm would take him to the corner bar for a few
drinks, while unknowing to CATERBONE , Ted Koppel was disclosing the story of the CIAs involvement
with ISC. Several hours later, Ted Koppel broke the story about the CIA and ISC's covert operations to
sell arms to Iraq.
236. Immediately following the conversation with Mr. Jay Curtis regarding the CIA and ISC, CATERBONE
packed a suitcase and confidential information assets, in preparation to leave Lancaster, in total and
legitimate fear for his life.
237. On May 23, 1991 ABC News/Nightline and Ted Koppel feature the first in a series of stories, relating
to CIA knowledge of a covert operation to supply munitions to south Africa implemented by ISC and
Carlos Cardoen. The story featured Lancaster and ISC. The report ties Guerin to the National Security
Agency project in the 1970s. ABC News, the Financial Times of London, and the Lancaster
Intelligencer News investigated the report. Tom Flannery of the Lancaster Intelligencer Journal
appeared on the program and was given credits on the show.
238. On May 24, 1991 The Lancaster Intelligencer Journal reports on the above story. At approximately

CATERBONE v. PA Dept. of Human Services Page No. 36 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

1:30 pm, CATERBONE drives out of Lancaster, en route to a safe haven, and stops at a convenience
store and reads the early edition of the Lancaster New Era, learning for the first time of ABC
News/Nightline story about ISC and the CIA the evening before, just hours after his conversation
regarding the same to Jay Curtis.
239. On June 7, 1991 CATERBONE is again arrested by the Stone Harbor Police. After passing several
sobriety tests, and two Breathalyzer tests, CATERBONE is placed in a jail cell, and refused to be
released. Several hours later, CATERBONE is cited for outstanding arrests warrants of Avalon, NJ,
dated back to August 14, 1987, by an officer of the Avalon Police department who suddenly appeared.
Both arresting officers demanded $340.00 for the posting of bail. CATERBONE requested that the
required cash be retrieved from his car, located just a few blocks away. The Avalon police officer
responded by saying, "we can't let you go to your car, you may have a gun in there". CATERBONE
was immediately escorted to the cape May county Prison, fingerprinted and processed.
240. On June 8, 1987 CATERBONE calls Mike Orstein, Lt. of the Stone Harbor police patrol, and requests
that he retrieve the required cash from his car, and post the required bail. At approximately 2:30 pm,
CATERBONE is released on bail. On June 11, 1991 CATERBONE left the Stone Harbor Marina at
approximately 12:30 am en route to Lancaster, Pa, to retrieve some files concerning the ISC cover-up.
Upon driving north on Route 47 (the normal route to Lancaster), approximately 10 miles outside the
Cape May county Courthouse, CATERBONE noticed a car following him closely. Suspicious,
CATERBONE decreased his speed from 55 mph to 35 mph, in order for the car to pass him.
However, the car remained directly behind, adjusting the speed accordingly. In an effort to elude the
car, without raising suspicion, CATERBONE gradually increased his speed, while also increasing the
distance between the cars, resulting in the loss of his taillights to the ensuing vehicle - Because of the
winding road, CATERBONE looked for an abrupt turn-off, in hopes of dashing the eluding vehicle, by
loosing sight of his taillights. There was little or no traffic on the route during the early morning hours,
and CATERBONE stopped at an intersection, and noticed that the headlights of the ensuing vehicle
were not visible in his rear view mirror, meaning that his taillights were also not visible to the ensuing
vehicle. Immediately upon pulling from the intersection, CATERBONE noticed a narrow dirt road that
lead into a field of small trees, the perfect place to sit for the ensuing auto to pass him, unnoticed. The
ensuing vehicle pulled to the intersection, and continued north on route 47, in the direction of
Lancaster. CATERBONE sat in his vehicle a few minutes, until continuing on his travel, north on
Route 47. Approximately five (5) minutes later, a car traveling in excess of SS mph, approached
CATERBONE , traveling south on the same road (2 lanes).As the two cars approached each other, and
approximately 30 yards from reaching each other, the approaching vehicle drove directly into the lane
of CATERBONE , with its high beams on, and continued straight for his vehicle, or what appeared to
be a head-on-collision. CATERBONE drove off of the berm of the road, missing a line of trees by less
than 12 inches (eluding a life threatening disaster), and passed the vehicle that was still in the north
bound lane, heading south. CATERBONE , shaking and sweating furiously, noticed the cars brake

CATERBONE v. PA Dept. of Human Services Page No. 37 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

lights go on, and the car apparently turned around, and began pursuing CATERBONE again.
CATERBONE drove as fast as he could to Route 55, hoping to find traffic in order to hide and loose
the pursuing car. CATERBONE arrived in Lancaster, at approximately 3:00 am, and again noticed a
car sitting in the parking lot of the vacant "Sportsman's Den", at the intersection of the New Danville
Pike and Prince Streets. Upon driving west on Hershey Avenue, CATERBONE noticed the car following
him. In an effort to identify the license plate, CATERBONE made a few turns in the area of Hamilton
Watch, and followed the car heading north on S. West End Avenue. The car was a late model, gold or
tan, Cougar or possibly a Buick Park Avenue. CATERBONE watched the car increase his speed, and
finally changed directions and proceeded to his residence, and parked a few blocks away, and walked
through the woods, to his apartment in the Hershey Heritage complex. CATERBONE then used a
flashlight, in order not to reveal his presence, and returned to his vehicle, sometime in the early
morning, during daylight.
241. On June 10, 1991 two independent U.S. courts uphold a $189 million award by Britian's High Court
against ISC executives Shireman and Larry Reach for their role in the fraud. Ferranti makes its first
open statement against Guerin saying a similar decision is expected to uphold the High Court's decision
against him.
242. On June 19, 1991 - CATERBONE leaves Stone Harbor, in constant fear for his life, and
remains in seclusion, in various parts of the Eastern Seacoast, spanning from Captiva Island, Florida,
to Boston, MA, in order to prepare an official request for a Congressional Investigation of all related
matters.
243. On Jul 11, 1991 CATERBONE files an official request C300 pages) for a Congressional Investigation
into all of the ISC and preceding issues with U. S. Representative Robert Walker CR-Pennsylvania), and
Speaker of the House, U. S. Representative Thomas Foley. Overnight Mail Service of the United States
Post Office, outside of Baltimore, Maryland, sent both requests.
244. On July 12, 1991 CATERBONE returns to his home, in Lancaster, PA, at approximately 1200 pm,
after remaining in seclusion immediately following the phone conversation of May 23, 1991 with Jay
Curtis, regarding the CIA and ISC. ABC News/NightLine features it's second story about Lancaster's
ISC and Arms to South Africa and Iraq.
245. On July 18, 1991 U.S. Representative Robert Walker sends a letter to CATERBONE relating to his
request for a Congressional Investigation into all of his allegations of misconduct and criminal
wrongdoing regarding his alleged ISC/Fraud "cover-up". The letter said : "Thank you for your recent
letter and information on International Signal & Control corporation. I appreciate your thinking of me;
however, since this case is before the courts, it is unethical for me to interfere with the judicial process.
If you think I may be of assistance with other matters, please feel free to contact me".
246. On July 25, 1991 Christian is released from prison after serving two years and a day for his role in
the Chem Con fraud and toxic waste dumping.
247. On August 1, 1991 CATERBONE receives a notice of a warrant for his arrest by the Stone Harbor

CATERBONE v. PA Dept. of Human Services Page No. 38 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

(NJ) Municipal Court, regarding summons #081370. CATERBONE called the Court Clerk, Pam
Davidson, to explain the circumstances. The Court Clerk refused to identify herself, and did not have
time to listen to his explanation. She then questioned why he (CATERBONE ) wanted to write to the
Judge to explain. CATERBONE writes a formal letter to Judge Peter M. Tourison, of the Stone Harbor
Municipal Court explaining his allegations of misconduct, and the issues surrounding his recent arrest
of June 7th, and all of the arrests dating back to August of 1987. CATERBONE had described in detail
his assertions and evidence that the arrests were conveniently orchestrated while he was seeking legal
recourse for the alleged ISC "Cover-Up'. CATERBONE also explained his fear for not returning to the
Stone Harbor Municipality, in light of the fabricated arrests, and other questionable incidents.
CATERBONE requested another means of settling all outstanding frivolous traffic violations, other
than appearing in Stone Harbor Municipal Court.
248. On August 8, 1991 Stone Harbor Municipal Court Judge, Peter M. Tourison, sends CATERBONE an
official letter acknowledging receipt of his previous letter and explanations. Judge Tourison concluded
his notice by demanding that CATERBONE appear in Court, as scheduled, "to have this matter taken
care of in the proper manner
249. On August 13, 1991 Ferranti announces it has recovered $650,000 hidden by Guerin in a number of
Swiss Hank accounts. Ferranti also announces a fiscal 1991 loss of $282 million. CATERBONE
responds to Judge Tourison letter of August 8, and discloses the recent attempt on his life, the past
June, just outside or Stone Harbor, and states that because of the apparent criminal conspiracy within
the same municipality, CATERBONE formally notifies the Judge that he refuses to return to Court, as
requested.
250. On August 15, 1991 Guerin and Cardoen are shown to have been deeply involved in a failed $100
million arms procurement plot linked to the infamous Iran-Contra scandal.
251. On August 16, 1991 CATERBONE receives a formal notice and demand from American Helix
President David D. Dering, for the return or equipment, currently in the possession of CATERBONE ,
and notice of the termination of the business agreement, dated October 1, 1990 between Stan J.
Caterbone and American Helix Technology Corporation. CATERBONE receives a facsimile from Mike
Hess (former ISC engineer who frequented S. Africa and who solicited CATERBONE in late 1989 for
work), and refuses to sign a non-disclosure agreement with CATERBONE and the Advanced Media
Group, Ltd., as requested to continue a further relationship considering the recent activities from the
May 23rd phone call and the national media publicity regarding the ISC Scandal.
252. On August 19, 1991 CATERBONE sends a letter to attorney Timothy Lanza via the Lancaster Bar
Association, and asks for an explanation as to his misrepresenting to CATERBONE for the past month
that his order for Advanced Media Group, Ltd., stock certificates were ordered, when in fact
CATERBONE verified with authorized personnel of the H. Burr Kein company that the order was never
placed. Timothy Lanza had personally disclosed to CATERBONE on several occasions that he was
awaiting the delivery of the certificate kit via UPS. CATERBONE responds to the previous letter of

CATERBONE v. PA Dept. of Human Services Page No. 39 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

David D. Dering, and his request for the return of American Helix equipment, currently in the
possession of CATERBONE . CATERBONE formally notifies David Dering that the equipment will be
held as collateral, according to statutes of the Pa. Uniform Commercial Credit code, that the equipment
will not he returned until the past due invoice {# 1018), of the Advanced Media Group, Ltd., of July 12,
1991 for $4,914.00, which was due upon receipt according to their business agreement, was paid in
full.
253. On August 29, 1991 A federal judge dismisses Christian's $93 million suit against Guerin, but
Christian vows to re file the suit.
254. On September 13, 1991 ABC News/Nightline features another story about ISC, the CIA, and Arms
Deals, in preparation for the beginning of the-Confirmation Hearings of George Bush's nomination or
the Director of the Central Intelligence Agency, Robert Gates, which begins just three days away, by
the Senate Intelligence Committee.
255. On September 16, 1991 The first day of the Robert Gates' Confirmation Hearings brings questioning
by Senator Murkowski, of the Senate Intelligence Committee, about knowledge of the ISC operations
by Robert Gates. Gates, whose candor about Iran-Contra resulted in his 1987 withdraw when
nominated for the same slot by then President Reagan. In a less-than sincere line of questioning,
Robert Gates denies any knowledge of ISC, Guerin, or Carlos Cardoen, including any operations to sell
munitions to Iraq or south Africa. In addition, he denies any knowledge of any CIA involvement in the
same.
256. On September 19, 1991 CATERBONE visits the office of Senator Bill Bradley (D-New Jersey), in the
Hart Office Building, Washington, D.C., and delivers documents, tapes, and a video, all relating to his
allegations of an alleged "Cover-Up" regarding the ISC Scandal. The materials were taken by assistant
Jackie Widrow, who signed a receipt.
257. On September 21, 1991 CATERBONE delivers a contract for the consulting services he has agreed
to provide to J. Oman Landis, in order to insure against any wrongdoing, and especially in light of Mr.
Landis' assertion the previous Friday that "you (CATERBONE ) are taking a break (from business) to
rest your mind". This assertion conveniently supports the alibi of mental insanity, that has been made
by numerous persons, including Mr. Landis' friends, the High's, who wholly own American Helix
Technology corporation. Several hours after delivering the contract to Mr. Landis, and after beginning
to work, as outlined in the contract, Mr. Landis called CATERBONE into his office and said "there were
some developments over the weekend, why don't you continue on your normal duties of driving
(limousines), this has nothing to do with the contract that you asked me to sign".
258. On September 25, 1991 CATERBONE mails a cover letter and accompanying materials to attorney
Howard Corny, of New York city, as previously discussed, via UPS regular way service.
259. On October 1, 1991 CATERBONE receives a facsimile from David Dering, President of American
Helix, formally charging CATERBONE with charges of 16,730.00. David Dering also demands that the
equipment be returned, and upon receipt, American Helix would forgive $11,816.00 ($16,730 - $4914)

CATERBONE v. PA Dept. of Human Services Page No. 40 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

(Caterbone's invoice) of unpaid charges to CATERBONE and or the Advanced Media Group, Ltd.,
260. On October 1, 1991 CATERBONE sends by certified mail, a copy of a recent complaint (filed Sep. 6,
1991) to the New Jersey Department of Motor Vehicles, and a demand for the title to his boat, and
again allegations of criminal wrongdoing by the Stone Harbor Marina, for not delivering title, given the
bill of sale was satisfied on June 10, 1991, and a fee for the title was paid as well.
261. On October 1, 1990 CATERBONE personally meets with Ted Koppel, of ABC News/Nightline, at the
Washington National Airport, at approximately 5:30 pm. CATERBONE questioned Ted Koppel if he
knew a Mr. Jay Curtis, and why he was questioned about the CIA's involvement with the ISC affairs,
just hours before the broadcast. Ted Koppel denied any knowledge of Mr. Jay Curtis, and stated that
Thomas Flannery was involved in the broadcast by the Financial Times of London. The letter of August
28, 1987 to Diane sawyer was also mentioned. Ted Koppel requested the phone number of
CATERBONE , and said that he would contact him later, due to his present time constraints, and
asked, "what do you want, and what is the story line?" CATERBONE responded, "Justice and
protection, someone is trying to cover me up, and someone already made attempts on my life...
someone keeps getting information from me, while I'm left sitting in Lancaster like a sitting duck".
262. On October 2, 1991 CATERBONE responds by facsimile, to the Oct. 1, correspondence, to David D.
Dering. CATERBONE requested supportive documentation regarding the suspicious charges of
$16,730.00 as declared, in order to consider the request for the return of the equipment. David C.
Dering responds by facsimile, demanding for CATERBONE to meet him at the Holiday Inn, in
Lancaster on Friday, Oct 4th, with the equipment in his possession, and states that he will deliver the
required supportive documentation of the charges as requested.
263. On October 2, 1991 CATERBONE responds by facsimile to Ted Koppel, as to his question
concerning the "story line".
264. On October 27, 1991 CATERBONE writes a letter to Sandra Woods, Associate Managing Editor, of
the Philadelphia Inquirer, regarding the recent feature story, "What went wrong in America"
CATERBONE describes his experience and present situation regarding the ISC scandal, and cites
corruption as the cause of the present dire and destitute circumstances controlling his life.
265. On October 31, 1991 Guerin and 19 others, including Larry Reach, are indicted on 75 criminal counts
by the Philadelphia based grand jury.
266. On October 31, 1991 Laura McQueen, administrator for the New Jersey Department of Motor
Vehicles, called CATERBONE at approximately 3:30 pm, to notify him that she was trying to sort out
the problem with his complaint regarding title to his boat. Ms. McQueen acknowledged that the Stone
Harbor Marina had submitted an application for a title, apparently dated on or about June 10, however
the identity of the boat did not match that of CATERBONE s. Ms. McQueen also admitted that there
seemed to be evidence of wrongdoing, but denied to state whether the matter was presently being
investigated. Ms. McQueen also stated that the title in question was being microfiche, and that within a
few days, they should be able to trace the title, and resolve the problem.

CATERBONE v. PA Dept. of Human Services Page No. 41 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

267. On October 31, 1991 Robert Clyde Ivy, Terrance Faulds, Wayne Radcliffe, Gerald Schuler, and
Thomas Jaslin enter a not guilty pleas to all charges handed down by the Philadelphia grand jury.
268. On November 24, 1987 Robert Shireman, ISC financial executive pleads his guilt in the ISC $billion
fraud and scandal. Anthony Stagq, ISC executive in charge of Singapore operations, pleads guilty in
the Arms Export violations.
269. On November 27, 1987 ISC Executive Larry Resch pleads guilty to his role in the massive contract
fraud in the Ferranti/ISC merger of November, 1987.
270. On December 3, 1991 Philadelphia grand jury hands down a "superseding indictment", clarifying the
money-laundering portion of the charges. The indictment states that between November of 1986 and
June of 1989, Guerin looped $450 million through phony bank, vendor, -and customer accounts to give
the appearance several of the bogus ISC contracts were real. The preceding information also allows
for the possibility of an indictment of William Clark, and possibly his attorney Joseph Roda. The largest
of the fake contracts was the Pakistan Missile deal, in which Larry Resch was charged and indicted by
the grand jury for managing.
271. On December 3, 1991 Mike Hess, a former ISC engineer that also has done work for CATERBONE ,
visits CATERBONE to deliver all materials in his possession which is the property of the Advanced
Media Group, Ltd., CATERBONE and Mike Hess engage in an argument when Mike Hess becomes
annoyed at CATERBONE s continued caution and suspicion of Mike Hess's real motives and agenda
for the relationship. CATERBONE had witnessed several incidents of inconsistencies with the attitude
of Mike Hess, with specific respect regarding CATERBONE 's efforts for justice and legal recourse
concerning the affairs of 1987. CATERBONE admitted in several occasions that he will never trust
anyone, especially given his former association with ISC, and most importantly his activities and travel
to South Africa.
272. On December 4, 1991 CATERBONE calls the Citizens Commission of Human Rights, after seeing the
organization featured on the Murray Povich Show, and talks to Roy Griffen. The organization's mission
is to investigate abuses within the mental illness profession. Roy Griffen requests information, and
agrees to investigate his allegations. CATERBONE states that he will Federal Express a copy of this
chronology.
273. On December 5, 1991 At approximately 10:00 am, CATERBONE sent a package of information via
Federal Express (tracking number 9734766S93) to: Roy Griffen, Citizens Commission for Human
Rights, 6362 Hollywood Blvd., Los Angeles, CA 90028, (800) 869-2247. The package was received at
9:56 am (PST) by L. Mezkerlsl, at the front desk.
274. On December 5, 1991 At approximately 4:52 pm, James Guerin pleads guilty to eight (B) grand jury
indictments of October 31. The indictments are as follows: Criminal Conspiracy, Violation, Arms Export
Control Act Violation, Comprehensive Anti-Apartheid act. Money Laundering, Securities Fraud, Filing
False Income Tax Return, Aiding and Abetting the Commission of crime. Sentencing is scheduled for
February 25, 1992, with a minimum of 14 years, and a maximum of Life in prison.

CATERBONE v. PA Dept. of Human Services Page No. 42 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

275. On December 4, 1991CATERBONE receives uninvited visitors at his residence, cousin Sam Miller
family, who in September left him stranded in Florida. They conveniently need a place to stay, while
visiting in Lancaster, and purposely cause distractions to his efforts for legal recourse.
276. On December 11, 1991 CATERBONE finally requests that Michelle and Jason Miller vacate his
residence.
277. On December 20, 1991 CATERBONE receivers a notice from the Internal Revenue Service
regarding a discrepancy in income reported on his 1989 Federal Income Tax Return. The items in
question were his "disability income" from Monarch life insurance and American Helix "non-employee
income".
278. On December 23, 1991 CATERBONE responds to the IRS letter and submits a copy of the
chronology of this conspiracy, along with the entire audio transcript (2 - 90 minute cassettes) of his
meeting of September 29, 198? with the Pennsylvania Securities Commission and requests assistance
in his ordeal. The correspondence was sent via 'Return Receipt Requested" in order to insure proof of
delivery. CATERBONE sends an updated chronology to Roy Griffen of the Citizen's Commission for
Human Rights.
279. On December 28, 1991 CATERBONE sends a formal notice to attorney Howard Cerny, 245 Park
Avenue, New York, informing him to return the previously submitted information and tapes regarding
this case, and also informing him that he no longer wishes to discuss these issues with him or any
member of his firm.
280. On December 30, 1991 CATERBONE travels to the U.S. 9:50 am courthouse in Philadelphia, PA,
and personally delivers the chronology and a copy of the "1987" Pennsylvania Securities Commission
meeting to Chief Judge Bechtle, who is presiding over the ISC court preceding. At 10:00 am
CATERBONE visits the U.S. Attorney Generals office in the same building and files a formal complaint,
"Criminal Conspiracy to "cover-up" the International Signal a Control scandal. The proper form is filed
with the clerk. Assistant U. S. Attorney General Gray asks CATERBONE to briefly describe his
complaint. CATERBONE gives Gray the chronology along with the tapes. CATERBONE briefly
describes the meeting of June 23, 1987 with Larry Resch, the nay 23, 1991 phone call from Jay Curtis,
the arrests by Manheim Township, and the attempts on his life. Agent Gray took notes, and said he is
not familiar with the case, but would personally see that the information is passed to the proper
authorities involved in the case. During the conversation, Mr. Gray asked the exact same question that
was asked by both Joe Roda and Investigator Eisler of the Pennsylvania Securities Commission) "But
you did not work for them (ISC), you were not involved with them?" CATERBONE gave this response
to all questions by Mr. Gray: It's all in there (the chronology), all of the information and events".
281. On January 6, 1992 CATERBONE sends a copy of the criminal conspiracy chronology and a
complete audio transcript of the PA SEC meeting of 1987 to the legal counsel of the Pennsylvania
Securities Commission via Certified Mail Return Receipt Requested: P825 695 935.
282. On January 8, 1992 At a "Town Meeting" in Columbia, Pennsylvania held by U. S. Senator Arlen

CATERBONE v. PA Dept. of Human Services Page No. 43 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Specter, CATERBONE personally delivers a copy of the criminal conspiracy chronology to Anon
Specter after the meeting and asks Arlen Specter to read the letter, Mr. Specter replied, " I will do
that".
283. On January 9, 1992 CATERBONE receives the Return Receipt from the Pennsylvania SEC, signed by
Sharon F. Heinspach on January 8, 1992.
284. On November 8, 1997 CATERBONE solicits Attorney Matt Samley, of the law firm of Xelkallis, Reese
and Pugh (Pflumm Contractors Corporate Attorney and David Pflumms Attorney), to provide a legal
opinion as to the circumstances involved in the cover up. Mr. Samley quickly asks if anyone had called
Stan Caterbone about the issues. Mr. Samley agrees to review the documents and will provide a legal
opinion of any criminal and prosecutorial misconduct.
285. On November 23, 1997 - CATERBONE delivers materials to Mr. Samley and also sends via Federal
Express the same materials to Christina Rainville, of Shnader, Harris, Lewis, and . With a letter
requesting a legal opinion from Ms. Rainville. Stan Caterbone had read the biography of Ms. Christina
Rainville parts of which were published as part of a story for the Lisa Michelle Lambert murder trial and
was impressed with her experience in the litigation of securities violations, software and computer
cases, entertainment, and of course the wide array of allegations of prosecutorial misconduct in the
Lancaster County District Attorneys Office and the East Lampeter Police Department. CATERBONE
knew he needed someone that was not afraid to challenge and take on the Lancaster Establishment.
286. On December, 8, 1997 - Ms. Pam Pflumm call Dr. Albert Shultz regarding the behavior of
CATERBONE .
287. On December 15, 1997 - CATERBONE telephones Jim Christian to again confirm that he did not
have knowledge of his meeting with Mr. Larry Resch. Jim Christian began threatening CATERBONE
from public disclosure of these issues, he said you have to forget about it. Your life will be worse off
than it is now, you better just forget it
288. In December of 1997 CATERBONE had made a journal of all of the mental and psychological duress
that the employees of the firm of Pflumm Contractors, Inc., had engaged. CATERBONE started to log
incidents of mental duress in December of 1997 after the incidents became consistent and
demonstrated not be random acts of mere occurrences. This behavior and malicious treatment was an
extreme divergence from the previous 45 months of my tenure and a polarization of CATERBONE S
relationships with all employees involved, including Mr. David Pflumm. Prior to these incidents
CATERBONE was credited with saving the company from near bankruptcy (1993) and leading the
company to the highest level of profitability, marketability, financial stability, and respect in the 20 year
history of the company. Pflumm Contractors, Inc. was generating over $4 million dollars per year in
revenues.
289. On January 14, 1998 CATERBONE visits with Fr. Edward Lavelle for advice and guidance concerning
his situation. CATERBONE only asked that Fr. Lavelle call Mr. David Pflumm, and ask he and is key
employees refrain from inflicting any additional mental duress upon his person Fr. Lavelle refuses

CATERBONE v. PA Dept. of Human Services Page No. 44 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

unless he is told to do so by Dr. Al Shulz. He offers no further assistance. 1:00 pm A few hour later,
CATERBONE visits Dr. Al Shulz for his quarterly appointment. Immediately upon entering the
appointment, and before CATERBONE will speak any words, Dr. Al Shulz will contemporaneously
accuse CATERBONE and declare: Stan, you are very sick. You are not well! You need to take
additional medications. The recorded transcript will prove the horrid implications of these
conversations.
290. On February 20, 1998 CATERBONE is forced to vacate his position of Controller of Pflumm
Contractors, Inc., due to the purposeful and intentional infliction of mental duress, perpetrated as a
direct reprisal against CATERBONE S rightful pursuit of due process of the law concerning all issues
contained herein. Later CATERBONE will learn that this is a classic tactic used against TARGETED
INDIVIDUALS AND WHISTLEBLOWERS CALLED WORKPLACE MOBBING.
291. On April 21, 1998 The Pennsylvania Department of Labor and Industry will again illegally deny
CATERBONE of his legitimate claim for Unemployment Compensation Benefits, which again is an act
of reprisal against his rightful pursuit of fair access to the law, and his disclosures of the incidents
contained herein. The Pennsylvania Department of Labor and Industrys 1987 rulings against
CATERBONE have been also proven to be in err, which conveniently and intentionally subjects
CATERBONE to financial hardship and mental duress, all purposefully hindering CATERBONE s right
to access the law. The record of CATERBONE s claim for Unemployment Compensation Benefits is
corrupted.
292. On November 25, 2004, Thanksgiving day, CATERBONE was inside his residence with the doors
locked. At approximately 11:30 am Dave Pflumm, Lizzy Pflumm, and Keagan Pflumm began knocking
on the back patio door. CATERBONE did not want to accept the visitors and would not answer the
door. The visitors had not been at the residence for at least 4 or 5 months and CATERBONE had not
been to the residence of the Pflumms since July of 2002. After the unwanted visitors would not leave,
CATERBONE went downstairs to the back bedroom hoping they would leave. Lizzy Pflumm and
Keagan Pflumm then began banging on the lower daylight door and the front door. CATERBONE then
began lifting weights. After approximately 20 minutes Keagan and Lizzy Pflumm appeared inside the
back bedroom. CATERBONE quickly questioned them how they got into the residence of
CATERBONE . Keagan Pflumm said he used a credit card to open the back patio door. They both said
that their father, Dave Pflumm was upstairs sitting at CATERBONE S kitchen bar. They walked
upstairs and CATERBONE immediately questioned Dave Pflumm as to how they broke into
CATERBONE s residence. Dave Pflumm responded that I have keys, everyone has keys to your
house. The visitors stayed for about an hour before leaving. This incident has been reported to the
Southern Regional Police Department and CATERBONE had questioned the Southern Regional Police
Department if the incident was ever investigated. CATERBONE never received a response.
293. On December 15, 2004 CATERBONE sends a complaint to Agent Sarsfield of the Pennsylvania
Attorney Generals Office in Pittsburg regarding illicit telephone activities. CATERBONE made

CATERBONE v. PA Dept. of Human Services Page No. 45 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

complaints and amended the formal Verizon Customer Relations Complaint number C-006142-2004,
which was made pursuant to the Pennsylvania Do Not Call statute. The complaint alleged that his
telephone calls were often being intercepted, misdirected, or impersonated. CATERBONE also made
complaints of harassing calls from Out of the Area caller identification that were occurring several
times a day with no response after answering. CATERBONE has had endured these activities for
years.
294. On February 12th, 2005, Pamela Pflumm invited CATERBONE for dinner after CATERBONE s
return from a trip to Florida on the same day. Pamela Pflumm was attending to CATERBONE s cats
and mail during his trip to Florida at his residence at 220 Stone Hill Road, Conestoga, Pennsylvania.
295. On February 12th, after dinner, Pamela Pflumms asked CATERBONE to drive her and a boyfriend of
Abby Pflumm to Kegels Restaurant to pick up Abby Pflumm from work. The boyfriend of Abby Pflumm
and Keagan Pflumm entered the rear seats of CATERBONE s car and the boyfriend held a green
tennis ball in his hand and aggressively put in CATERBONE s face and said I found a tennis ball in
your back seat. CATERBONE drove down the driveway and Keagan Pflumm and Abby Pflumms
boyfriend made a comment about CATERBONE s car audio system that was previously vandalized.
CATERBONE became upset, turned around and told Pamela Pflumm to drive herself to pickup up
Abby Pflumm from work. When CATERBONE arrived back home at his residence, the green tennis
ball that hangs from CATERBONE s garage to align his parking, was suspiciously missing and was
reported stolen that night to the Southern Regional Police Department.
296. On February 17th, 2006, as CATERBONE drove down Main Street, in Conestoga, while
CATERBONE noticed a four-wheeler driving in the horse pasture of the Plfumm Property.
CATERBONE stopped and questioned the unknown persons because it was a school night and Pamela
Pflumm was residing at the residence alone without her husband. No member of Pflumm family was on
the scene at that time. CATERBONE did immediately vacate the property as soon as a member of
the Pflumm household walked out of the house indicated that the persons on their property did have
permission. A few months previous to these incidents, Mr. David Pflumm separated from his wife and
was not living at the residence. CATERBONE was called upon by Pamela Pflumm on several
occasions to help her around the house and property.
297. On February 17, 2005, at approximately 2:20am Officer Fedor of the Southern Regional Police
Department abruptly entered CATERBONE s home, awakening CATERBONE , and falsely accused
CATERBONE of harassment for driving on the residence of David and Pamela Pflumm. Pamela
Pflumm calls CATERBONE during the altercation with Officer Fedor on CATERBONE s cell phone.
298. Immateriality after the altercation with Officer Fedor, CATERBONE wrote a letter and sent it the
Chief Fiorill (formerly of the Lancaster City Police Bureau) of the Southern Regional Police Department.
299. At 1:00 pm on February 17, 2005 CATERBONE did visit the Lancaster County District Attorneys
Office and requested to meet with District Attorney Donald Totaro. The Chief of Detectives, Mr. Michael
Landis (Former Chief of the Lancaster City Police Bureau) conducted a meeting in a conference room

CATERBONE v. PA Dept. of Human Services Page No. 46 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

where CATERBONE complained about the conduct of the Southern Regional Police Department and
the harassment of the Officer and clearly stated that CATERBONE was preparing a Federal Civil
Action (05-2288) and was concerned about obstruction of justice, anit-slapp, and civil rights violations
concerning Federal Civil Action 05-2288 which was filed a few months later on May 16, 2005 in the
United States District Court for the Eastern Court of Pennsylvania.
300. On February 18,2005 CATERBONE did meet with the Chief of the Southern Regional Police
Department, Chief Fiorill, at the precinct located at 3284 Main Street, in Conestoga. The meeting was
initiated by request of Chief Fiorill. Officer Robert Busser (formerly of the Pennsylvania State Police)
was outside Chief Fiorills office listening to the meeting.
301. At the meeting of February 18th, 2005, Chief Fiorill did libel and slander CATERBONE by stating
that I dont believe anything that you say, regarding the incidents of the week of February 17th and
the allegations contained in Federal Civil Action 05-2288.
302. At the meeting of February 18th, both Chief Fiorill and Officer Robert Busser did libel and slander
CATERBONE by stating that CATERBONE was nuts and questioned CATERBONE s mental health.
This assault on CATERBONE s mental health was done to discredit CATERBONE s allegations in the
Federal Civil Action 05-2288.
303. At the meeting of February 18th, Officer Fiorill disclosed that he had called CATERBONE s brother,
Mike in Plantation Florida (who has been residing in Florida for the past 18 years), to discuss the
incidents without permission, thus violating CATERBONE s civil rights and privacy rights.
304. At the meeting of February 19th Officer Robert Busser threatened and assaulted CATERBONE by
taking his nightstick and raising it up in a position to strike CATERBONE on the head. Chief Fiorill
grabbed Officer Robert Bussers forearm just in time to stop him from hitting CATERBONE .
305. Both Officer Busser and Chief Fiorill demanded CATERBONE out of the office, thus violating his civil
rights, and placing CATERBONE in harms way of future threats, harassment, and numerous criminal
activities.
306. On February 18th, 2005, CATERBONE visited the establishment of the Alley Kat Bar and
Restaurant, located on Lemon Street, Lancaster, Pennsylvania from approximately 10:00pm until
11:30pm. CATERBONE had a brief conversation with Ms. Kerry Egan immediately before leaving to
proceed directly home.
307. On February 19th, 2005, at approximately 5:00am, Officer Fedor pounded on CATERBONE s front
door to awaken him. CATERBONE refused to open the door and let the Officer in due to the
preceding incidents and went into his bathroom and called the Pennsylvania State Police. The
Pennsylvania State Police refused to answer the plea for help to intervene in the altercations with the
Southern Regional Police Department.
308. Approximately 20 minutes later, Officer Fedor and Pamela Pflumm illegally entered into the residence
of CATERBONE by breaking and entering.
309. Officer Fedor stated he was responding to a 911 call about an attempted suicide. CATERBONE

CATERBONE v. PA Dept. of Human Services Page No. 47 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

tried to tell Officer Fedor that he did not know what he was talking about. Officer Fedor handcuffed
CATERBONE and was physically abusive by pushing and shoving CATERBONE directly in front of
CATERBONE s loveseat and handcuffing CATERBONE . Officer Fedor asked him why he sent an
email to Kerry Egan threatening to commit suicide. Pamela Pflumm was standing in front of
CATERBONE s back door. CATERBONE kept trying to tell Officer Fedor that he came home and was
sleeping all night. CATERBONE and Officer Fedor kept arguing about an incident that never occurred.
Officer Fedor violated several civil rights of CATERBONE .
310. Officer Fedor stated the Kerry Egan made a call to 911 at approximately 4:00 am and stated that she
received an email from CATERBONE early that morning with a threat to commit suicide.
CATERBONE called Comcast cable during the altercation to try to get an activity list of CATERBONE
s online activities to prove that CATERBONE did not send any email to Kerry Egan. Officer Fedor
slandered and libeled CATERBONE by not believing his account. CATERBONE kept asking why
Pamela Pflumm was summoned to CATERBONE s home and received no explanation. CATERBONE
did not see Pamela Pflumm before that she entered the residence with Officer Fedor.
311. It was later determined that there never was an email, and the Southern Regional Police Department
never withdrew their allegations of mental health issues.
312. On April 5, 2006 Officer Buzzer did knowingly and willing falsely imprison CATERBONE and
maliciously attack CATERBONE and accompanied several police officers in theft of a white envelope
containing approximately $743.00 in cash in a police chase from the Conestoga Wagon Wheel
Restaurant in Conestoga to Duke Street in Millersville, Pennsylvania, via Kendig Road.
313. On April 5th, 2006, Officer Fedor did make false statements to authorities in the 302 petitions to
Lancaster General Hospital and to Crisis Intervention of Lancaster, Pennsylvania with regards to the
incarceration of CATERBONE in the Psychiatric ward from the period of April 5th to April 10th, 2006.
314. On April 5th, 2006, Officer Busser did harass, threaten, and physically abuse CATERBONE in the
apprehension that took place on South Duke Street, Millersville, Pennsylvania and did knowingly draw
his weapon upon CATERBONE without any threat, merely to incite public attention to CATERBONE
that defamed his character, and slandered his name.
315. All of the preceding acts of retaliation by the Southern Regional Police Department were a direct
result of undo influence upon CATERBONE and his attempts to remedy causes of action that have
been disclosed in the Federal Civil Action 05-2288, and the Federal False Claims Act filed in the United
States District Court for the Eastern Court of Pennsylvania.
316. On April 5th, 2006, Defendants did falsely imprison Defendant at Approximately 3:15 EST at the
emergency intake unit of the Lancaster General Hospital, Duke Street, Lancaster County, Pennsylvania.
317. On April 5th, 2006, upon request, staff of the Lancaster General Hospital failed to produce any
official documentation to support the apprehension of CATERBONE or the holding of the
CATERBONE in said facility.
318. The Defendants did open locking cell and CATERBONE again asked for documentation,

CATERBONE v. PA Dept. of Human Services Page No. 48 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE walked out of the holding cell, and not documentation was produced, agent for
defendant picked CATERBONE up and literally threw CATERBONE back into holding cell.
319. Between 3:30pm and 7:15pm Dr. Riley examined CATERBONE by asking the following questions:
320. Do you drink alcohol?
321. Do you take drugs?
322. May I listen to your heart and drugs?
323. The preceding examination took under 2 minutes and was not near sufficient for the requirements as
outlined in the 302 petition, whether legal or not.
324. Mental Duress: Agents, employees, and staff of the Lancaster General Hospital did engage in planned
and occasional events to inflict, cause, and provoke extreme mental duress.
325. Agents, employees, and staff did obstruct justice and cause CATERBONE to suspend, neglect, and
or cease all activities relating to CA 05-0288 and TMT 05-23059 in an overt attempt to interfere with
CATERBONEs constitutional right to due process.
326. Agents, employees, and or staff did subject CATERBONE to a life threatening environment when
patient William X was intentionally given a ball point pen immediately after Angela X administered a
drug, and William X stood 1 foot away from CATERBONE and held ball point pen as a knife.
CATERBONE had to immediately remove himself from the immediate area.
327. Agents, employees, and or staff subjected CATERBONE to further harm by condoning and further
provoking situation. As of April l0th, 2006, CATERBONE is still falsely imprisoned.
328. Agents, employees, and or staff did take from CATERBONEs possession a white bank envelope
containing Seven Hundred and Forty-Three dollars ($730.00), which was not included in
CATERBONEs Possession Form.

329. On July 23rd, 2006 CATERBONE speaks with Governor Ed Rendell at a Campaign Speech at Binns
Park, in Downtown Lancaster, and requests his assistance in his Civil Rights Obstruction of Justice
Complaint filed a few weeks earlier in the Office of Attorney General.
330. On October 14th, 2006 CATERBONE files a RICO complaint in the United States District Court
against Shawn Long, attorney for Fulton Bank, MDJ Leo Eckert, Commins, Simms, Case No. 4650.
331. On October 17th, 2006 CATERBONE attends a Bail Supervision (of the Lancaster County Sheriffs
Department) Intake meeting at the Bail Administrators Office in the Lancaster County Courthouse.
CATERBONE serves the Lancaster County Sheriffs Department, the Lancaster County District
Attorneys Office, and the Lancaster County Public Defenders Office Civil Actions. The Lancaster County
Public Defenders Office literally took the Certificate of Service signing sheet from CATERBONE and
CATERBONE immediately told Judge Joseph Madenspacher about the incident while he walked to the
Bus Terminal to go the Office of MDJ Commins. The document was never returned even after several
emails to the contrary by the Public Defender, Mr. Karl.
332. On October 20th, 2006 CATERBONE files a Federal False Claims Act for Whistle-Blowing against ISC

CATERBONE v. PA Dept. of Human Services Page No. 49 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

in the United States District Court For The Eastern District of Pennsylvania, Case No. 06-4734.
333. On October 26th, 2006 The Pennsylvania Superior Court received a Brief for the Appeal Challenging
the Fulton Bank Judgment of June 29, 2006.
334. October 30th, 2006 The Pennsylvania Superior Court sends a letter to CATERBONE requesting (7)
more copies of the brief, which CATERBONE will not receive until January 4 th, 2007. An amended
complaint to CATERBONEs Southern Regional Police Department Civil Action, Case No. 06-3401, is
due in the Court of Common Pleas of Lancaster County on exactly this date. An Unsecured Bail Bond
was revoked by Officer Adam Cramer of the Southern Regional Police Department and (2) Bench
Warrants were issued for the Arrest of CATERBONE by Adam Cramer of the Southern Regional Police
Department and MDJ Leo Eckert, Jr.. CATERBONE filed the Amended Complaint and mailed it from the
Bausman Post Office Substation, and did not go to the Lancaster County Courthouse in fear it would
not get filed. At 2:20pm (2) PA Constable arrest and apprehend CATERBONE at 1250 Fremont
Street, Lancaster, PA, and take him to Magisterial District Justice Eckerts Office on the (5) Bench
warrants for summary citations and then COMMITT CATERBONE to the Lancaster County Prison,
stating that an Indigent Hearing will be held within 10 days, and challenges CATERBONE S Indigent
status and his Superior Court Cases. Magisterial District Justice Eckert complains to CATERBONE
about being named a Defendant in Federal Case No. 06-4650, and remarks that CATERBONE may
have to be taken to Dauphin County Prison for suing all of the District Justices in Lancaster County. He
also said You are not even close to getting to the Superior Court.
335. On November 1st, 2006 CATERBONE appears before Judge Paul K. Allison who reinstates his Bail
Bond as Secured, which required CATERBONE to post $5,000 to get out of the Lancaster County
Prison instead of just signing an Unsecured Bail Bond, which should have happened, and is not
released from the Lancaster County Prison, as expected.
336. On November 6th, 2006 CATERBONE files his first Appeal for Reconsideration to the ORDER of
Judge Paul K. Allison to Reinstate the Bail Bond as Unsecured, and Release him from Lancaster County
Prison.
337. November 20th, 2006 The United States District Court for the Eastern District of Pennsylvania
records 28 U. S. C. 2241 Habeas Corpus Petition Case No. 06-5138 (Challenging the Detainer and
Imprisonment) filed from the Lancaster County Prison on November 14th, 2006. This case is still
338. On November 30th, 2006 Judge Paul K. Allison Denies CATERBONEs Appeal to Reinstate Bail as
Unsecured.
339. On November 8th, 2006 CATERBONE is transported to Magisterial District Justice Leo H. Eckert, Jr.,
and signs a document that was missed on October 30th, 2006, and is not given an Indigent Hearing as
promised.
340. On December 2nd, 2006 CATERBONE files an Appeal to Judge Paul K. Allison ORDER of November
30th, 2006.
341. On December 4th, 2006 the Lancaster County Sheriffs Department is ORDERED to transport

CATERBONE v. PA Dept. of Human Services Page No. 50 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE to both residences, 1250 Fremont Street, and 220 Stone Hill Road to obtain files and
evidence for a Trial, as a Pro Se Litigant and representing himself on the East Lampeter Township
summary citations. There were no Sheriff Sale Posting on 220 Stone Hill Road, and both residences
look fine.
342. On December 5th, 2006 The Lancaster Intelligencer Journal publishes the Story The Next Sound You
Hear regarding former business partner Tony Bongiovi, which is central to all of the litigation in the
United States District Courts. The worlds of pro audio and consumer electronics were bridged at New
York City's Avatar Studios in December, where Bongiovi Acoustics unveiled the Digital Power Station car
radio. Demonstrated by audio icon Tony Bongiovi (pictured) in Avatars Studio A (former Power Station
Studios), the patent-pending technology being manufactured by JVC made a very impressive debut.
343. On December 6th, 2006 Honda Financial repossess a Honda Odyssey stored at the St. Dennis Towing
Companys facility from August 31, 2006; the Honda was take because of the illegal repossession of
the drivers license and there were no funds available for the tow that was just a few blocks away. The
Honda was protected under the pending Chapter 11 Bankruptcy Petition and was conveniently taken
while incarcerated. CATERBONE had talked to Honda Financial in August and there was no problem
with the lease, even though CATERBONE had not made a payment since May of 2005. The St.
Dennis Towing Company was charging $25.00 per day, and has never filed or sent CATERBONE an
invoice for the storage, which is very suspect.
344. On December 8th, 2006 CATERBONE files a Writ of Mandamus against Magisterial District Justice
Leo H. Eckert, Jr, and Mary Commins for the fraudulent activities leading to the false imprisonment of
October 30th, 2006, and Bench Warrants.
345. On December 12th, 2006 CATERBONE files for Continuances in all of the following Civil Complaints in
the Commonwealth Court of Common Pleas of Lancaster County, Pennsylvania: CI-06-07330; CI-06-
08742; CI-06-08490; CI-06-07376; CI-06-07188; CI-06-06658; CI-06-04939; CI-06-03403; CI-06-
03401; CI-06-03349.
346. On December 13th, 2006 The Lancaster County Sheriffs Department (Maluskus) and Chief John Fiorill
tried to get CATERBONE to change his address to the Lancaster County Prison and Judge Perezous
refused to get ORDER CATERBONE to comply with the demand and Judge Perezous CONTINUED the
Appeal Hearing because CATERBONE did not have any files to conduct a Trial.
347. On December 20th, 2006 The Lancaster County Sheriffs Department (Hiem & N/A-names given by
Sheriff Simone) refused CATERBONE to wear his suit into the courtroom, or take his files into the Pre-
Trial Conference before Judge Farina, which caused CATERBONE to forget to discuss material motions
for the Trial, and caused CATERBONE to be defamed by appearing in a Lancaster County Prison
uniform before the Court and in front of 20 or so other people in the Courtroom.
348. On December 20th, 2006, while in the Lancaster County Prison, the Lancaster County Sheriffs
Department and Fulton Bank conduct a Sheriff Sale for 220 Stone Hill Road, Foreclosure CI-06-02271,
with NO notification before or after the SALE to CATERBONE; and sold the property to Central Penn

CATERBONE v. PA Dept. of Human Services Page No. 51 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Settlement Company of Akron, Pennsylvania.


349. On December 28th, 2006 Judge Paul K. Allison overturned his previous ORDER and Granted
CATERBONE his Appeal ORDER and signed the Unsecured Bail ORDER and the RELEASE from
Lancaster County Prison.
350. On December 29th, 2006 CATERBONE is RELEASED from Lancaster County Prison, and walks to the
Lancaster County Courthouse to report to Court Administration and the Prothonotary Office to get a
print out of all of the Civil Dockets for all cases in Civil Court, including the Fulton Bank Foreclosure and
finds out for the first time that the Sheriff Sale on December 20 th took place. CATERBONE retrieves a
check for $19.34 from Attillio Grossi, which is all the funds has available for food, and all other
necessities.
351. On January 2, 2007 CATERBONE files and records (4:09pm) a Petition To Set Aside Sale for 220
Stone Hill Road, Conestoga in the Pennsylvania Court of Common Pleas of Lancaster County and
personally serves Fulton Bank and the Lancaster County Sheriffs Department.
352. January 4th, 2007 At 1:15pm CATERBONE visits 220 Stone Hill Road and finds 2 unidentified
individuals on his property loading the entire contents of 220 Stone Hill Road onto 2 Penske moving
trucks, to an unidentified location, and is ordered off the Property for Trespassing. The 2 individuals
said they were from Noble Real Estate Company. Mr. Joseph Caterbone accompanied him as a witness
and driver. CATERBONE takes several pictures of the individuals and the Penske Trucks. At 1:35pm
CATERBONE retrieves his mail from the Conestoga Post Office from dating back to October 25th, 2006
up to the present and temporarily forwards mail to 1250 Fremont Street, Lancaster, PA. CATERBONE
visits the Lancaster County Sheriffs Office and speaks to Lt. Lancaster and Mr. Bergman about the
incident at 220 Stone Hill Road and is told that Southern Regional Police have already responded, and
would not give any information about the incident. At 3:00pm CATERBONE attends the Trial for
Criminal Case No. CP-36-CR-0003179-2006 (Fleeing & Eluding filed by Sgt. Busser of Southern
Regional Police Department on April 5 th, 2006) in Courtroom 1 of the Lancaster County Courthouse and
moves for a Motion for a Continuance due to the incident at the property at 220 Stone Hill Road an
hour before. The Honorable Judge James P. Cullen Denies his Motion.
353. On January 5th, 2007 At 8:30am CATERBONE files and records an Addendum to the Petition To Set
Aside Sale for 220 Stone Hill Road, Conestoga in the Pennsylvania Court of Common Pleas of Lancaster
County and personally serves Fulton Bank and the Lancaster County Sheriffs Department regarding
the theft of all of his personal possessions, including business files of Advanced Media Group, and all
Legal files and evidentiary assets for all pending litigation. At 9:00 am the Lancaster County District
Attorney Deborah Muzereus moves for A Continuance in the Trial for Criminal Case No. CP-36-CR-
0003179-2006 and the Honorable James P. Cullen Grants a Continuance until the February Trial
Schedule.
354. On January 7th , 2007 CATERBONE files a claim with Harleysville Insurance Homeowners Policy
HOAI 93468 for the theft of his personal possessions and the property at Stone Hill Road.

CATERBONE v. PA Dept. of Human Services Page No. 52 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE files for a Change of Venue for the Hearing scheduled for January 18 th, 2007 in
Intercourse before Magisterial District Justice Leo H. Eckert, Jr.. CATERBONE does not have all of his
evidentiary files and no transportation because of the illegal revocation of his Red Rose Transit
Authority Monthly Bus Pass.
355. On January 8th, 2007 CATERBONE files an Emergency Petition for Food Stamps and other in the
Pennsylvania Court of Common Pleas of Lancaster after his Food Stamps and Red Rose Transit
Authority Monthly Pass was illegally terminated, thus leaving him without food and transportation for
all court preceding. CATERBONE files for a Continuance for Summary charges by District Justice Leo
H. Eckert Jr., a Defendant in U.S. District Civil Action 06-4650, scheduled for January 18 th, 2007., again
for not having access to all of his evidentiary files and without transportation. CATERBONE files and
sends his Brief to the Superior Court of Pennsylvania Case No. 1463 MDA 2006 for the challenge to
Fulton Banks 220 Stone Hill Road Foreclosure, via U.S. Postal Priority Mail Return Receipt No. 0306
2400 003 1072 4451; the request stated: Other - We need 7 copies of this brief, also all copies need
to be bound on the left like a book and if you use staples they must be covered with tape.
CATERBONE borrows $50.00 from Joseph Caterbone for food, paper, and postage for the Superior
Court Brief.
356. On January 9th, 2007 CATERBONE files for Continuance in all of his pending Civil Actions before the
United States District Courts for the Eastern District of Pennsylvania; 05-2288; 06-4650; 06-5138; 06-
4734; 06-CV-4154; 06-5117; 06-2236; 05-23059BKY. CATERBONE files for a Change of Venue and
Continuance for Summary Citations (TR-0008735-2006; TR-0008578-2006; TR-0008721-2006; TR-
0008503-2006; TR-0007528-2006) Scheduled for a Hearing on January 23, 2007 before District
Magistrate Richard H. Simms, a Defendant in U.S. District Civil Action 06-4650. CATERBONE receives
a Notice to Change the Hearing Scheduled for January 18 th, 2007 from Magisterial District Justice Leo
H. Eckert, Jr. to Isaac Stoltzfus of Intercourse. CATERBONE Petitions the Pennsylvania Court of
Common Pleas of Lancaster County to vacate the Bail Supervision Ordered by Magisterial District
Justice Mary Commins on October 10th, 2006. The Bail Supervision was without merit or cause.
357. January 10th, 2007 CATERBONE reports a theft of the Digital Recorder used containing an authentic
and original audio recording of the incident for the Case No. CP-36-CR-0003179-2006 (Fleeing &
Eluding filed by Sgt. Busser of Southern Regional Police Department on April 5 th, 2006) to Officer Cole
of the Lancaster City Police Department who responded at approximately 10:25pm to 1250 Fremont
Street and filed the incident as Case No. 0701-014878.
358. January 11th, 2007 The Honorable Judge James P. Cullen Orders CATERBONEs Petition to vacate the
Bail Supervision as Denied Case No. 4771-2006. CATERBONE writes the following in an email to the
Red Rose Transit Authority: I am having a problem with my monthly passes. I have not received my
January Monthly Pass, and my forwarded mail has not been received from 220 Stone Hill Road,
Conestoga. Today, your driver Dave on the 3 8th Ward/Park City 8:35 bus made me pay him for the
fare. Some drivers let me on with my December Pass and my Letter of Acceptance from September of

CATERBONE v. PA Dept. of Human Services Page No. 53 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

2006. I never received a termination letter, and on January 5th, filed an Emergency Petition against
the Lancaster County Assistance Office to have all benefits that have been terminated, reinstated.
What is the status of my Monthly Pass? Below is an excerpt from the Civil Action, Case No. CI-07-
00150 in the Court of Common Pleas of Lancaster County, Pennsylvania. The Petitioner has not
received his January Red Rose Transit Authority January Monthly Bus Pass, sponsored by the RRTA and
the Lancaster County Assistance Office. The Petitioner did receive his December Monthly Bus Pass, and
complained to the Red Rose Transit Authority Terminal Station on Queen Street, Lancaster,
Pennsylvania, on January 5th,2007. The staff worker told the Petitioner that his Monthly Pass was
deleted because he was incarcerated. The Petitioner explained that the Red Rose Transit Authority
Monthly Bus Pass was issued for a (2) year period. The incarceration was not valid and I was released
upon the Success of my Appeal, which was signed by the Honorable Judge Paul K. Allison on December
28th, 2007. CATERBONE , in the Pre-Trial Conference moves for a Continuance for 0004771-2006
before Judge Ashworth and it is GRANTED.
359. January 12th, 2007 CATERBONE receives the following email from Ms. Gail Parenteau, of Bongiovi
Acoustics: What is Advanced Media Group? It is our policy not to open unsolicited attachments.
What's your tel. no. I've been with Tony since 1986 and neither of us remembers what this is. I've
highlighted your type-os in red below. CATERBONE responds with the following email to Ms. Gail
Parenteau: I (Financial Management Group, Ltd.,) was at Power Station from February until July in
1987 working extensively with Tony, Ellen, and all of the Producers from Flatbush Films in Hollywood.
Tony named me Executive Producer of the project, and that is in the budgets. Now, are you really
associated with Tony, or are you covering for someone? I have still photos, audio recorded meetings
with Bob Walters (Co-Owner of Power Station Studios), business plans for "Mutant Mania", Tony's
Digital Movie, with budgets, screenplays, joint venture agreements, Patent and Copyright materials for
Power Station Studios and Tony. I also have documents for the Pier in Wildwood, which Tony owned. I
personally authored many of these materials with Tony, at his request. I spent many days and nights
working at Power Station on this project. I had a Navajo Chieftain twin turbo prop that I flew to Power
Station for some of my meetings, the other times me and Scott Robertson drove. I even have another
management consulting proposal that I developed for Tony in 1989, when he wanted me to restructure
Power Station from top to bottom. If, you were not privy to these projects, then maybe you should at
least talk to Tony. I was just providing a professional courtesy to Tony, especially, since I have
admitted many documents pertaining to my claims in the United States District Court for the Eastern
District of Pennsylvania. Tony is not a Defendant in my claims. I have authored a Joint Venture
Proposal for Sony, which details the Power Station Digital Music System, and I have noticed what Tony
is doing. I will not call, for security reasons, I cannot tell who is on the other end. You can have a legal
representative or Tony forward correspondence to: CATERBONE, 1250 Fremont Street, Lancaster, PA
17603.
360. January 13th, 2007 CATERBONE visits the Red Rose Transit Authority Terminal at Queen Street

CATERBONE v. PA Dept. of Human Services Page No. 54 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

again attempting to get his January Monthly Bus Pass, which he thinks is missing in the mail.
CATERBONE borrows $20.00 from Richard Hobday, for food, postage, and paper; and ride home from
the Lancaster County Courthouse. CATERBONE receives a letter and a Distribution Schedule from the
Lancaster County Sheriffs Office that states: On December 20,2007 your property located at 220
Stone Hill Rd. was sold at Sheriff Sale to a third party buyer, Central Penn Property Services, Inc. for
$156,000.00. Attached, you will find a Schedule of Distribution, which we are required to do. On this
schedule you will see that there is a balance of proceeds to be paid to you, Stanley J. Caterbone. You,
the defendant, will receive this balance of $17,306.80, however, you have served Sheriff Bergman with
a petition to set aside the sale (PARCP 3132). Please note that we, the Sheriffs Office, do not have a
dated and signed copy by the court of your petition. At the advice of our solicitor, the distribution of
any payouts regarding this property will not be made until the matter is resolved. Fulton Bank and the
Lancaster County Sheriffs Department embezzle over $50,000 in Fees, Costs, and the Distribution of
Sale associated with the Sale Proceeds of 220 Stone Hill Road, Conestoga, PA. The Praecipe-Writ of
Execution filed on July 31sth, 2006 by Fulton Bank for Foreclosure Case No. CI-06-02271 stated:
FILED. WRIT ISSUED. AFFIDAVIT OF NON-MILITARY SERVICE. PRINCIPAL: $88,568.53; INTEREST TO
03/02/2006 AT A RATE OF $14.56 PER DIEM: $4,442.96; NEGATIVE ESCROW BALANCE: $1,096.38;
LATE CHARGES: $317.20; ATTORNEYS' FEES: $3,000.00; TOTAL: $97,425.07. FILED BY SHAWN M.
LONG, ESQ. CATERBONE receives a letter from the Superior Court of Pennsylvania regarding the
Fulton Bank Foreclosure Challenge, notifying him that AND NOW, this fourth day of January, 2007 the
appeal in this matter is DISMISSED for failure to file a brief. This DISMISSAL is highly suspect
considering that the Superior Court placed no time conditions on receiving the additional (7) Copies
and it was received several days AFTER CATERBONE had already mailed the required (7) Copies and
fulfilled the obligations to the Superior Court, thus furthering the fact that Fulton Bank and the Sheriffs
Office of Lancaster County held an illegal sale on December 20th, 2006. CATERBONE receives DENIED
on an ORDER from Change of Venue and Continuance for the Hearings for January 18th, 2007, signed
by Judge Dennis Reinaker of the Pennsylvania Court of Common Pleas of Lancaster County,
Pennsylvania.
361. CATERBONE , Stanley J. Caterbone (CATERBONE), alleges that the City of Lancaster and the
Lancaster City Bureau of Police and others colluded to deliberately ignore CATERBONES complaints, an
abuse of process, in an effort to interrupt and sabotage current and ongoing litigation and civil
complaints against several major businesses and government agencies with headquarters in the City of
Lancaster and the Commonwealth of Pennsylvania. Those would include the Lancaster General
Hospital; High Industries (Penn Square Partners and the Lancaster County Convention Center); Fulton
Bank and Fulton Financial Corporation; Wachovia Bank branches; Lancaster Newspapers; the County of
Lancaster; the Lancaster County Prison; the Hotel Brunswick; James Street Investment District; Aurora
Films; Haverstick Films; and the Lancaster City Bureau of Police.
362. CATERBONE also alleges that the Lancaster City Bureau of Police were used to retaliate and sabotage

CATERBONE v. PA Dept. of Human Services Page No. 55 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

other litigation and civil complaints against other police departments, namely the Southern Regional
Police Department, Manheim Township Police Department, East Lampeter Police Department,
Millersville Boro Police, Avalon Police Department and the Stone Harbor Police Department.
363. CATERBONE alleges that by ignoring his complaints the Lancaster City Police Department gave the
green light for others to continue a long and successful period of harassment, thievery, property
damage, computer and electronic hacking, deletion and manipulation of court related documents,
records and evidence, mail fraud, and the like. These activities are so intense that they have taken on
the characteristics of hate crimes.
364. CATERBONE alleges that the gross abuse and negligence defamed his name and that of his company,
ADVANCED MEDIA GROUP, which discredited his reputation in an effort to diminish credibility in the
courts and to disrupt and thwart any possible business relations and operations of ADVANCED MEDIA
GROUP resulting in direct and immediate financial losses and loss of income.
365. Chief Keith Sadler and the Lancaster City Police Bureau rejected and refused to resolve these
disputes through mediation when CATERBONE opened a case with the Lancaster Center for Mediation
in May of 2008 and Keith Sadler communicated on May 8, 2008 that he would not cooperate and
mediate with CATERBONE.
366. On several occasions in 2007 several police officers of the Lancaster City Bureau of Police instructed
CATERBONE, in person upon responding to complaints, not to call 911 or the Lancaster City Police
Department and that the Lancaster City Bureau of Police would not respond or take complaints.
367. The Lancaster City Bureau of Police only took one (1) incident of gas siphoned and stolen from
CATERBONEs 1991 Dodge pickup truck, and refused to take the over 50 (from December 20, 2007 to
present), or so other incidents as a complaint, regardless of the efforts to have Lancaster City Mayor
Rick Grey and the Lancaster City Solicitor to look into the allegations and complaints. CATERBONE had
meticulously documented the incidents in a journal and a log of gas receipts, photographs, and
odometer miles for all of the incidents.
368. The Lancaster City Bureau of Police had responded to approximately 10 or so 911 calls in the last
eighteen (18) months to 1250 Fremont Street, residence of CATERBONE, for complaints of property
damage; stolen property, legal and business files and evidence for litigation; computer and electronic
hacking with deleted electronic files; harassment; terrorist threats, stalking, stolen mail, etc.,.
369. CATERBONE had complained of abuse of process to state and federal law enforcement of the
situation, including U.S. Senator Arlen Specters office. CATERBONE had also visited the Federal
Bureau of Investigation (FBI) in both Harrisburg and Philadelphia for help and intervention.
370. CATERBONE also had personal meeting with Lancaster City Mayor Rick Gray in Lancaster City Hall on
at least 4 occasions to find a solution to the problems and for help to mediate the problems and
resolve the conflicts and the pain and suffering, as well as loss and destruction of property and that
CATERBONE was undergoing.
371. In November of 2007, CATERBONE and the Advanced Media Group went public with their Downtown

CATERBONE v. PA Dept. of Human Services Page No. 56 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Lancaster investments and business plans that were culminated over the past 9 years. The Advanced
Media Group also formerly and publicly introduced their Downtown Lancaster Action Plan via handouts,
websites, and blogs; and began meetings and negotiations with major stakeholders, City of Lancaster
Public Officials, Developers, and investors.
372. In 1997 CATERBONE had solicited Attorney Christina Rainville of Philadelphia and pro bono attorney
for Lisa Michelle Lambert in the Laurie Show murder case. The murder trials and appeals of the
Lambert case demonized Ms. Christina Rainville and U.S. District Court Judge Stewart Dalzell. After
CATERBONE submitted documents and audio recordings, Ms. Christina Rainville had communicated
with CATERBONE that she was not able to take his case due to the fact that her Philadelphia law firm
had banned her from taking on any more Lancaster County residents, despite the fact that many more
sought her legal counsel. On December 31, 1997, CATERBONE had also personally delivered a CD-
ROM to the chambers of U.S. District Court Judge Stewart Dalzell in an effort to bring attention to his
case. In May of 1998 CATERBONE submitted an AFFADAVIT to the law firm of Schneider and Harrison
outlining the prosecutorial misconduct or Finding of Facts of the 1987 cover-up for Ms. Christina
Rainville. CATERBONE alleges that these facts were part of the attitude and the motives for the law
enforcement-at-large of Lancaster County and the Commonwealth of Pennsylvania to ignore the rule of
law and procedure in order to bring these false arrests and malicious prosecutions. The Lancaster
County community-at-large had the same attitude toward CATERBONE. The Lambert case received
national notoriety when U.S. District Judge Stuart Dalzell freed Lambert on a Habeus Corpus appeal
hearing citing she was actually innocent beyond a reasonable doubt. Judge Dalzell was quoted in
chambers as saying, "I can tell you, Mr. Madenspacher, that I've thought about nothing else but this
case for over three weeks, and in my experience, sir, and I invite you to disabuse me of this at oral
argument, I want you and I want the Schnader firm to look for any case in any jurisdiction in the
English-speaking world where there has been as much prosecutorial misconduct, because I haven't
found it. The case was covered by a 3 part series in the Los Angeles Times by writer Barry Seigel on
November 10, 1997 and a television episode on the A&E Network American Justice Series. The
Lancaster community gathered over 10,000 signatures on a petition to impeach U.S. District Judge
Stewart Dalzell for his rulings. In the end, the Commonwealth of Pennsylvania took control of the case
and appealed the ruling that freed Lambert sending her back to prison. The case went all the way to
the U.S. Supreme Court in 2005, after being denied any review. The case accentuated the rights of
Federal Law vs. State Law and the Commonwealth of Pennsylvania solicited a team of attorney
generals from across the nation to help their cause. CATERBONE attended a hearing before Judge Larry
Stengel in the Lancaster County Court of Common Pleas and to this day, due to his knowledge and
experience with the Lancaster County Judicial System and Law Enforcement believes the case should
have never been conducted without a jury trial, and that the over zealous prosecution proves that
prosecutorial misconduct was never thoroughly investigated or prosecuted in the Lambert case.
CATERBONE will not let that happen in his cases.

CATERBONE v. PA Dept. of Human Services Page No. 57 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

373. TO BE CONTINUED IN AN AMENDED COMPLAINT


374. On or about April 14, 2008 1999 HP Notebook n5150 laptop was rendered useless by intruder
shorting the power cord. This was the third computer rendered useless since November of 2007, and
the last computer available for use in the home and office. The only computer available for use was
the public computer at the Lancaster County Library on North Duke Street in downtown Lancaster.
375. On March 18, 2008 CATERBONE went to the Hotel Brunswick in Downtown Lancaster to continue his
take measurements of the Movie Theater for his continued efforts of a business and development plan
to open the Brunswick Movie Theater, which had been closed since 1995. CATERBONE and Advanced
Media Group had an agreement with the Owner of the Brunswick, Hamid Zahedi, to make a formal
proposal and offer for leasing the site. CATERBONE noticed that the United States Department of
Justice Office of Trustee was conducting hearings for Chapter 11 petitioners in the Presidential Room of
the Hotel Brunswick. CATERBONE had not received ORDERS from his United States Third Circuit Court
of Appeals Case No. 08-3054 for his appeal of an issue in his Chapter 11 Case No. 05-23059.
CATERBONE alleged that the ORDERS were stolen or never mailed from the clerk of courts.
CATERBONE thought maybe Dave Adams, the trustee for the United States Department of Justice
Office of Trustee might be conducting the hearings. The following day CATERBONE received a
disturbing email from Mr. Barry A. Solodky, Esquire, of Blakinger, Byler & Thomas, P.C., 28 Penn
Square, Lancaster, PA 17603. CATERBONE had known Mr. Solodky since the 1980s and had even
solicited him to review his bankruptcy matters before the Appllent filed his Chapter 11 case on May 23,
2005. The following email exchanges detail the incident and the false reports and allegations from a
member of Blakinger, Byler & Thomas, P.C.
376. Sometime in February of 2008 by way of hacking or the staff of the Clerk of Court of the Third Circuit
Court of Appeals, CATERBONE was erroneously and maliciously placed on electronic email distribution
with no paper copies for all of his ORDERS for all of his cases, which at that time numbered four (4),
without the knowledge of CATERBONE. After receiving one of the email alerts and ORDERS
CATERBONE personally visited the Clerk of Court for the Third Circuit and was told by staff that it was
just a new courtesy copy. The staff did not notify CATERBONE that his cases would not be eligible for
paper copies of ORDERS. CATERBONE was alleging since February that his ORDERS were being stolen
in the U.S. mails, and only received information in April on the bottom of a copy of a letter attached to
an ORDER for Case No. 3054 that he was switched to electronic email distribution with no paper
copies. This makes no sense since, filing as pro se, CATERBONE is not eligible to file any electronic
documents in any U.S. or Pennsylvania Courts.
377. On several occasions since February, CATERBONE was not able to open the Third Circuit electronic
ORDERS on the first attempt, which denied CATERBONE access or knowledge of the Third Circuit
ORDERS with no way of retrieving them again. CATERBONE was not even able to respond or know
how the United States Third Circuit Court of Appeals had ruled or what ORDERS were handed down,
which also denied CATERBONE any chance to follow court mandated responses in a timely fashion.

CATERBONE v. PA Dept. of Human Services Page No. 58 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

378. On April 17, 2008 CATERBONE went to respond to the U.S. Third Circuit Court of Appeals for case no.
3054-07 and CATERBONEs paper copies of his briefs and filings were stolen and were not in his home
and office.
379. From April 14, 2008 to April 19, 2008 CATERBONE was electronically hacked by professional
computer hackers at the Lancaster County Library in a more hostile manner than usual. At one time
CATERBONE had lost three or more hours of work for the Downtown Theater at Hotel Brunswick
business and development plan, and the hackers had also deleted sensitive research and data files for
the project.
380. On April 15, 2008 CATERBONE had his brakes rigged on his bicycle while riding in downtown
Lancaster, which almost caused CATERBONE to loose control and again rendered his bicycle unfit to
ride. CATERBONE reported the incident to Lancaster County Sheriff Terry Bergman and deputy Bourne
at the Lancaster County Courthouse. The Lancaster County Sheriff provided tools to CATERBONE to fix
the brakes at the Lancaster County Courthouse.
381. From April 14th to May 6th, 2008, CATERBONE had his gas siphoned out of his 1991 Dodge Dakota
Pickup truck on at least 7 different occasions. On April 29 th, 2008, CATERBONE was scheduled for oral
arguments before the Superior Court of Pennsylvania at 9:30 am and had his gas siphoned the evening
or day before and had missed the 7:39am Amtrak train to Harrisburg and missed the Superior Court
Appeal Hearing for Case No. 855 MDA 2007.
382. On April 7th, 2008, CATERBONE had $200 of fraudulent fees charged to his Wachovia Bank checking
account via a clever guise of posting transactions and erroneous statements of the account.
383. During the month of April and up until the Pennsylvania Primary CATERBONE has documented
several incidents of harassment at the Lancaster Campaign Headquarters for Senator Hillary Clinton at
Queen and Chestnut Streets. CATERBONE had formally volunteered for the campaign. CATERBONE
had alleged misconduct by several key Lancaster Officials and politicians that have influence in
Lancaster City. Most were Obama Supporters and two were Obama elected delegates. It was ironic
that Lancaster County was one of only 7 of 67 counties in Pennsylvania to vote for Obama.
384. On April 18, 2008, CATERBONE received a fraudulent invoice and collections letter from the
Lancaster County Credit Bureau for $96.00 from the Lancaster County Prison. CATERBONE
immediately went to the Lancaster County Prison and met with Vincent Guirnir, the Warden, who made
certain he would take care of the matter and have the Lancaster Credit Bureau delete the invoice and
the charge from CATERBONEs record.
385. On several days in April his U.S. Postal Carrier, Mr. Mitchell, in delivering his mail had harassed
CATERBONE. For the past year or so, CATERBONE had a sign on his front door that instructed the U.S.
Postal Carrier to ring the bell if the screen door was locked, which they had done. Then suddenly the
U.S. Postal Carrier refused to ring the door or deliver the mail if the screen door was locked and lied
and said he never did it that way before.
386. For the past 2 years CATERBONE had problems and numerous complaints (drug trafficking,

CATERBONE v. PA Dept. of Human Services Page No. 59 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

prostitution, thefts, harassment, destruction of Appellants property, thefts of stolen files, siphoning of
gas, stalking) with local law enforcement and the City of Lancaster officials regarding the next-door
occupants of 1252 Fremont Street, and its owner, Mr. William Lefty Plank, a convicted felon
(vehicular homicide with DUI, Robbery, Assault, False Identification, Driving Under Suspension,
Probation Violations, etc., and career criminal.
387. CATERBONE had made formal complaints to Lancaster City Mayor Rick Gray regarding the incidents
and allegations of 1252 Fremont Street during personal meetings during February, March, and April
Open Door public one on one meetings for the public with the Mayor. During February, March, and
April, CATERBONE pleaded with Lancaster City Mayor Rick Gray to intervene with the Lancaster City
Police to try to resolve the disputes and to take CATERBONEs complaints and incident reports. After
the Mayor failed to bring any change to the situation, CATERBONE notified Mayor Rick Gray that
CATERBONE would file for mediation with the Lancaster Center for Mediation after the newly appointed
Chief of Lancaster City Police, Keith Sadler was sworn into office on or about April 23, 2008.
388. After almost 2 months of complaints regarding an unregistered and un-inspected old junk pickup
truck (Owned by William Lefty Plank, parked in the alley behind 1252 Fremont Street, on April 15,
2008 the Lancaster City Bureau of Housing and Inspections placed a Red Public Nuisance and/or
Hazardous Vehicle sticker on the truck. The sticker requires the owner to remove the vehicle within
48 hours or face a $1,000 per day fine and have the vehicle towed at the owners expense.
CATERBONE again complained to both the Lancaster City Bureau of Housing and Inspections and the
Lancaster City Police after it was not removed. Finally, on April 21, 2008 CATERBONE visited the
Lancaster City Bureau of Housing and Inspections and again complained. Within hours the vehicle was
finally towed. In April of 2007, CATERBONE had his mint condition 1991 Dodge Dakota Pickup
delivered to his home and office at 1250 Fremont Street after being stolen by Parula Properties, LLC on
December 20, 2006. The Lancaster City Bureau of Housing and Inspections placed the Red Public
Nuisance and/or Hazardous Vehicle on the truck because CATERBONEs could not afford insurance or
registration. CATERBONE removed his 1991 Dodge Dakota pickup truck within 24 hours after being
threatened with the $1,000 per day fine and having the truck towed away at a location with a per diem
charge.
389. On April 22, 2008 while CATERBONE was polling for the Lancaster Campaign Office to elect Hillary
Clinton, at the Helena Greek Orthodox church on Hershey Avenue. First on the way to the voting
precinct, which was only 5 blocks from CATERBONEs home and office, CATERBONE ran out of gas
because some one again siphoned his gas tank. Lancaster City Councilman Nelson Polite, who showed
up to poll for Barrack Obama, harassed CATERBONE. CATERBONE did not want to take any more
harassment and went back to the Lancaster Office to elect Hillary Clinton and filed a formal complaint.
390. On April 22, 2008 the 1252 Fremont Street property, and its owner, Mr. William Lefty Plank had the
house CONDEMNED by the Lancaster City Bureau of Housing and Inspections. The notice read as
follows: NOTICE THIS PROPERTY HAS BEEN CONDEMNED As Being Unfit For Human Habitation and

CATERBONE v. PA Dept. of Human Services Page No. 60 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

May Not Be Occupied Until Repaired. The penalty for violation of this notice can be a fine of $1,000 per
day or a term of imprisonment up to 90 days per offense. Do not obstruct or remove this notice under
penalty of law. CITY OF LANCASTER DEPARTMENT OF HOUSING AND NEIGHBORHOOD IMPROVEMENT
(717)291-4705. The property of 1252 Fremont Street was never evacuated, and persons continued to
Habitat the property no matter how many times CATERBONE complained to officials of the Lancaster
City Bureau of Housing and Inspections, the Lancaster City Police Department, or the Mayor of
Lancaster, Mayor Rick Gray. The Lancaster City Housing and Inspections Bureau advised CATERBONE
during personal visits to the office that 1252 Fremont Street was CONDEMNED for water shut-off,
and that no one was permitted in the property. They advised CATERBONE to notify the Lancaster City
Police if anyone was seen in the house. CATERBONE has constantly heard voices and persons inside
the 1252 Fremont Street during the entire period of Condemnation.
391. On or about April 24, 2008 a female and a Hispanic male approached 1252 Fremont Street from the
back alley. CATERBONE instructed the two individuals that no one was allowed in the property, under
the condemnation laws. They argued and entered the property with a key. CATERBONE called 911 for
the Lancaster City Police. Two Lancaster City Police officers arrived within 10 minutes and William
Lefty Plank and Lee Schopf appeared. They argued that they were permitted in the house to retrieve
things. The two individuals were not seen. The Lancaster City Police ORDERED everyone out of the
house and advised them to vacate the property. The Lancaster City Police instructed me to keep
calling if anyone is seen in the house.
392. On April 26, 2008 a white mail approached 1252 Fremont Street from the front while CATERBONE
was outside working on his property next door. CATERBONE advised the person not to go inside and
the person threatened CATERBONE with physical violence and walked into the house at 1252 Fremont
Street. CATERBONE called 911 to report the threat to his person and that a person had just went
inside 1252 Fremont Street. One Lancaster City Police officer arrived on foot within approximately 10
minutes and waited for backup before pounding on the door of 1252 Fremont Street. Another
Lancaster City Police Officer arrived on foot walking up Fremont Street from the Euclid Avenue vicinity.
CATERBONE then went inside his home and office next door at 1250 Fremont Street. After several
minutes of pounding on the door, William Lefty Plank opened the door and Lee Schopf walked out of
the door. CATERBONE watched through his screen door and was waiting for the tall white male that
threatened him to appear. CATERBONE opened his screen door and told the Lancaster City Police that
they were not seen when the tall white male entered 1252 Fremont Street. Both Plank and Schopf
said there was no one else inside of 1252 Fremont Street. Later more Lancaster City Police officers
arrived and they handcuffed Lee Schopf and escorted him to a Lancaster City Police cruiser waiting in
front of 1250 Fremont Street. The tall white mail apparently left out the back door before the
Lancaster City Police arrived, or before they inspected the house. The Lancaster City Police vacated
the premises and rang on the door of CATERBONE. The Lancaster City Police Officer explained that
they would call on the Lancaster City Bureau of Housing and Inspections on Monday morning to

CATERBONE v. PA Dept. of Human Services Page No. 61 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

confirm the story by Plank that he was allowed in the house to retrieve items. Plank said he needed
his cell phone charger. If the Lancaster City Bureau of Housing and Inspections confirmed that they
were not allowed in the house, then the Lancaster City Police officer said they would charge the two
with trespass. The Lancaster City Police officer said that Lee Schopf had outstanding warrants on him.
After the Lancaster City Police had left the scene William Lefty Plank knocked on CATERBONEs door
to argue that they were allowed inside and that he was going back inside the house. CATERBONE
slammed the door and told William Lefty Plank to stay away from him. On Monday, April 28, 2008
CATERBONE went to the office of the Lancaster City Bureau of Housing and Inspections and talked to a
male who said he was the supervisor, he confirmed to CATERBONE that no one was allowed inside
1252 Fremont Street and told CATERBONE to keep calling the Lancaster City Police, but said it in a
sarcastic manner to irritate CATERBONE because no one would enforce the Condemnation Notice.
393. On the early morning of April 24, 2008 at the Brickyard Bar and Restaurant on North Prince Street
CATERBONE was assaulted by a tall black male. CATERBONE went up to the bar to pay for his tab, one
drink, and the assailant started to harass CATERBONE about what was inside his backpack.
CATERBONE left and went downstairs to the lobby where his bicycle was locked. The assailant followed
and kept harassing CATERBONE. CATERBONE warned the assailant to stay away from CATERBONE or
he would call the police. The assailant pulled out his cell phone and kept saying he has the police in
his back pocket, or something to that extent. CATERBONE walked his bicycle out the door as other
patrons arrived and rode down the Brickyard pavement toward North Prince Street. The assailant
chased CATERBONE and grabbed his backpack tearing it in half and stopping CATERBONE.
CATERBONE quickly reached back so that all of the legal files would not spill and kept yelling at the
assailant to get away. The assailant kept asking CATERBONE if he was a Federali or Federal Agent.
CATERBONE saw a Lancaster City Police cruiser on the west side of Lemon street at a stop light and
quickly rode to flag the police down. The Lancaster City Police drove across the intersection and
stopped in the middle of the street. CATERBONE told the officer what happened and he said he would
drive around to Prince Street to the front of the Brickyard. CATERBONE went back to Prince Street for
his bicycle and saw the assailant approaching him again. CATERBONE sped away following the police
cruiser to the corner of the alley at Market Street and Lemon Street to hide from the assailant. The
Lancaster City Police cruise was out of sight. After the assailant disappeared CATERBONE went back to
the Brickyards via Lemon Street to look for the Lancaster City Police. After a few minutes the
Lancaster City Police cruiser appeared from James Street and turned down Prince Street. The
Lancaster City Police took a statement from CATERBONE and CATERBONE asked the Lancaster City
Police for a ride home because CATERBONE could not ride and hold the backpack together at the same
time. CATERBONE explained that there were Federal case files in the backpack, but they refused and
told CATERBONE to call a taxi. CATERBONE wrapped his backpack up with a bungi cord and went
home. A few days later CATERBONE went back to the Lancaster City Police Bureau and requested a
report of the incident. Officer Cosmore printed CATERBONE a summary of the call from County-Wide

CATERBONE v. PA Dept. of Human Services Page No. 62 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Communications with a log of the time of the call, a description, and the responding officers names,
and instructed CATERBONE to check back later for a complete report. CATERBONE did and was
instructed to go to the records office of the Lancaster City Police Bureau where they demanded $15.00
for a verification letter. CATERBONE waited for about ten minutes after the clerk said she would print
one out, but left after no one came back to the window.
394. On May 2, 2008 CATERBONE opened a case for mediation with the Lancaster City Police Bureau and
Chief Keith Saddler at the Lancaster Center for Mediation.
395. On May 8, 2008 Lancaster City Police Bureau and Chief Keith Saddler communicated with the
Lancaster Mediation Center that they refuse to mediate with CATERBONE.
396. On May 1, 2008 the Advanced Media Group Website at
http://www.amgglobalentertainmentgroup.com/ was hacked and only 1 hit showed up on the
statistics report.
397. On May 6, 2008 the scanner and printer was again rendered inoperable.
398. On May 6, 2008 the Advanced Media Group Website at
http://www.amgglobalentertainmentgroup.com/ was hacked and shut down with only 44 hits
showed up on the statistics report.
399. On May 7, 2008 Wachovia Bank illegally charged CATERBONE a $10.00 fee for a cahiers check in an
effort to incite and harass. The Wachovia Bank has processed at least 10 cashier checks prior to this
date without ever charging a fee. Joe Caterbone, uncle of CATERBONE was present in line and walked
out after CATERBONE ignored him.
400. May 7, 2008 was one of most painful days of electromagnetic radiation for CATERBONE.
401. On May 8, 2008 the Lancaster City Water Department turned on the water at 1252 Fremont Street
and the CONDEMNED NOTICE was removed.
402. ON May 8, 2008 the electronic version of a brief filed by CATERBONE for Superior Court Case No.
MDA 2053-07 was hacked and changed.
403. On May 9, 2008 the link to the Downtown Lancaster Action Plan of the Advanced Media Group
website was hacked and turned off.
404. On May 10, 2008 after noise all night at 1252 Fremont Street, the home of William Lefty Plank and
Lee Schopf, the hot tub jet switch was turned on twice during the day in an effort to run up the electric
bill. At about 8:30 am a long grey haired male started an altercation and screamed and threatened
CATERBONE from the backyard of 1252 Fremont Street, the home of William Lefty Plank and Lee
Schopf.
405. On May 12, 2008, as with most mornings CATERBONE tried to get a free breakfast at the St. James
Episcopal Church Food Kitchen. The church had a policy of placing all backpacks outside the facility
and hanging them on the wooden fence in the rear. On several occasions when CATERBONE had very
sensitive court related materials inside, he had left the backpack at Lancaster City Hall, and even at
the Lancaster Public Library. On one occasion a few weeks ago an alternate Schadd Detective Agency

CATERBONE v. PA Dept. of Human Services Page No. 63 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Security Officer locked up the backpack in an office inside St. James Episcopal Church. On this day,
May 12, 2008, CATERBONE decided to request some sort of exception from the administrators of St.
James Episcopal Church. The woman administrator in the office of St. James Episcopal Church allowed
CATERBONE to place the backpack with court documents and filings insider the church administrators
office. She said she would inform George Dunn, the Schadd Detective Agency Security Officer that he
had her permission. CATERBONE proceeded to the line for breakfast and Mr. George Dunn immediately
made him leave the line and told him it was not her decision. CATERBONE was instructed to take the
backpack with court related documents and filings out of the building. He told George Dunn, the
Schadd Detective Agency Security Officer that the matter would be taken up with his Superiors. The
James Street District Security employee stood close by trying to insinuate that CATERBONE was in the
wrong and causing problems. Immediately following the incident, CATERBONE went to the Lancaster
County Library, which was located right next door, and Googled Schaad Detective Agency to find an
email address to file a complaint and found the following article: Schadd Detective agency owner to
stand trial on prostitution charge by MATTHEW KEMENY, The Patriot- News Friday February 01,
2008, 3:28 PM Provided PhotoRussell L. Wantz Jr. The owner of one of the largest private detective
and security agencies in central Pennsylvania will stand trial on a charge of criminal attempt to solicit a
prostitute, a Dauphin County district judge ruled today. Russell Leroy Wantz Jr., 57, who owns the
York-based Schaad Detective Agency, Inc., was arrested Dec. 10 in Swatara Twp., after police said he
arraigned to meet a woman for sex at the Red Roof Inn.
406. On May 13, 2008 CATERBONE went to the office of Spiziri Insurance to use a computer offered by
owner John Spiziri. CATERBONE was hacked and windows explorer would not work while trying to
make a CD-ROM backup of files from a thumb drive.
407. Again on May 13, 2008 the statistics report for Advanced Media Group was hacked and not
displayed.
408. On May 15, 2008 CATERBONE was hacked at the Lancaster County Library while trying to display the
electronic ORDER of the U.S. Third Circuit Court of Appeals, thus denying him access to the document.
There is only 1 (one) view allowed per electronic email. The Library staffer that was in the Duke Street
Business Center of the Library during that time made a remark before the incident as if she was
involved.
409. On May 18, 2008 immediately following the Sunday mass at St. Marys Catholic Church, which
CATERBONE attends on a regular basis and is a member, had made arrangements with Charles Chip
Snyder, owner operator of Snyder Funeral Home, to pick up the remaining estate files of his brother,
Sammy Caterbone (December 25, 1984 death). The Snyder Funeral Home and Chip Snyder was the
mortician and the first to raise concern and doubt that the suicide on the death certificate did not make
sense since there were no marks of any kind on the neck of the Sammy Caterbone when the remains
were retrieved from Santa Barbara, California. That observation and notification to CATERBONE
started the formal process and investigation into Sammy Caterbones cause of death back in 1984.

CATERBONE v. PA Dept. of Human Services Page No. 64 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

They agreed to that the files would be available at the King Street Office of Snyder Funeral Home. At
that Mass, Fr. Leo Goodman had announced to the congregation that St. Marys was going to start a
video broadcast of the Sunday morning mass on network television and a web cast for those that are
homebound; and requested feedback from the congregation. CATERBONE waited to offer his services
to Fr. Leo Goodman and talked to him outside after mass. Father Leo Goodman tried to humiliate and
harass CATERBONE, as he has done on so many occasions.
410. On May 19, 2008, CATERBONE observed the owner of 1242 Fremont Street, Wally (last name
unknown), leaving a note for the occupants at the front door. CATERBONE has also been making
formal complaints regard the activities of that residence and had an illegally parked car removed from
the back alley a few weeks before. CATERBONE informed Wally of suspicious activity that looked like
drug trafficking with people going in and out during the day and night, similar to 1252 Fremont Street.
Wally thought they were selling drugs also. Wally confirmed that they were not paying rent and he
was evicting the tenants. CATERBONE went back to his residence and heard yelling and screaming
from 1242 Fremont Street, and heard the tenants threaten Wally with physical threats and Sylvia Boas,
1244 Fremont Street also yelling at Wally. Wally was walking to his car and threatening to call the
police.
411. On May 20, 2008, CATERBONE left his residence in his 1991 Dodge truck and within a half of block
was stalked by Mr. Joseph Caterbone and Ms. Dee Stover Butz. Blocks away CATERBONE got out of his
car at a red light and asked Mr. Joseph Caterbone (Uncle) if he was following him, and went back to his
car, where Dee Stover Butz was directly behind CATERBONE. CATERBONE asked her while she was
waiving to him in a sarcastic manner, if she was 12 years old. CATERBONE went immediately to the
Headquarters of WGAL-TV where there was supposed to be a protest of the TV Station for the bias of
the media coverage of the Clinton-Obama presidential race. CATERBONE received an email the day
before soliciting protesters from Rebecca Lytle, a Clinton campaign person for Lancaster County. In
the parking lane of WGAL-TV CATERBONE ran out of gas due to another incident of someone stealing
his gas. He found only one (1) person protesting and suggested that the email was a fraud to the
person protesting.
412. On August 19, 2009 or there about, CATERBONE received the NOTICE OF AWARD from the Social
Security Administration (SSA) for his DISABILITIES BENEFITS from the application of April 8, 2009.
The application was for symptoms and illnesses from the victimization of U.S. SPONSORED MIND
CONTROL TECHONOLOGIES. The application and due diligence process by the SOCIAL SECURITY
ADMINISTRATION included documentation related to the victimization of U.S. Sponsored Mind Control
and did NOT INCLUDE ANY MEDICAL PROFESSIONALS OR ANY PSYCHIATRIC EVALUATIONS BY THE
SOCIAL SECURITY ADMINISTRATION OR THIRD PARTIES. CATERBONE continues to receive his
benefits to this day. Key elements of the BENEFITS are as follows:

The SSA considered CATERBONE DISABLED AS OF DECEMBER OF 2005; the date of which he
became a victim of full-time 24/7 synthetic telepathy as documented.
A check in the amount of $21,456.00 was received as payment for benefits retroactive for one

CATERBONE v. PA Dept. of Human Services Page No. 65 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

year to April of 2008.


CATERBONES case was UPDATED in May of 2015 with a NOTIFICATION LETTER of July 26, 2016
stating that WE DO NOT NEED TO UPDATE YOUR CASE AT THIS TIME. It should be
noted that all beneficiaries are required to go thru the UPDATE at least once every 3 years, with
the exception of chronic cases and/or those over the age of 50.
A NOTIFICATION LETTER OF BENEFITS was received on December 19, 2016 with NET MONTYLY
BENEFITS of $1379.00 per month.
413. In March of 2010 FULTON BANK illegally filed a No Trespass Notice against CATERBONE and in the
process illegally and maliciously took possession of CATERBONE 'S three (3) safe deposit boxes
containing files, electronic media, evidence, medications, social security documents, audio files, court
filings, personal legal documents such as birth certificates, etc,., and most importantly $31,000.00 in
Cashiers Checks amounting to theft of property, extortion, obstruction of justice, and mental duress.
414. In April of 2010, during the week in which CATERBONE was to attend a PRESS RELEASE
CONFERENCE in Kentucky for the Human Rights Organization, FREEEDOM FROM COVERT
HARASSMENT AND SURVEILLANCE in and in retaliation for CATERBONE filing an
EMERGENCY INJUNCTION FOR RELIEF in Federal Court Detective Clark Bearinger, of the
Lancaster City Bureau of Police filed a fabricated and malicious 302 mental health warrant
in an effort to cover up the Fulton Bank criminal act and the Federal Emergency Injunction.
Detective Clark Bearinger used a fabricated Youtube Video that allegedly depicted CATERBONE
saying it was KILL A COPY TIME. The Lancaster City Detective never produced the video to anyone,
or presented it to the Judge at the 303 Hearing.
A. In an effort to get released CATERBONE agreed to suspend all social media accounts.
415. While incarcerated in the Psychiatric Emergency Unit of the Lancaster General Hospital, all Medical
Professionals did engage in a wholesale program of psychological torture.
A. First of all there was no 302 delivered with any of the Lancaster City Police upon arrival to the
emergency psychiatric unit until hours later.
B. The Charge Nurse was the main culprit of the psychological torture and would later stalk
CATERBONE at the local WALMART on at least 2 occasions.
C. Second, they refused to give CATERBONE an interview only after making several complaints to
see the 302 Warrant.
D. The MD that did finally interview CATERBONE would not listen to the facts and release
CATERBONE , and LGH purposefully held CATERBONE for about 6 hours until moving him to
FAIRMOUNT.
416. While incarcerated at the FAIRMOUNT BEHAVIORAL HEALTH SYSTEM, in Philadelphia all Medical
Professionals did engage in a wholesale program of psychological torture.
A. After CATERBONE refused a blood test and medications 3 Psych-techs walked into CATERBONE
'S room, held him down, and administered a psychotropic drug in his ass, which after a few hours
dummed CATERBONE down to a state of semi-consciousness, slurred speech, and total
compliance for days on end, making it impossible to defend himself during the 303 HEARING, which

CATERBONE v. PA Dept. of Human Services Page No. 66 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

he immediately demanded upon arrival.


B. Derrick Robinson, President of the Human Rights Group FREEEDOM FROM COVERT HARASSMENT
AND SURVEILLANCE did make calls to FAIRMOUNT hospital in an effort to get CATERBONE
released. CATERBONE had previously served on the OUTREACH COMITTEE, which Derrick
Robinson presided over weekly teleconference meetings during 2009 and the beginning of 2010.
C. The Public Defender assigned to the 303 Hearing was in collusion with the Psychiatrist, who was Dr.
Gratz, the Administrators, and Detective Clark Bearinger.
D. During the stay at FAIRMOUNT CATERBONE and FULTON BANK attorney Stephanie Carfly
(CATERBONE and Stephanie Carfly had a very civil relationship), of the firm Barley Snyder, LLP,
did consummate a verbal agreement to allow the PLAITNIFF to go to the FULTON BANK and empty
CATERBONE 'S safe deposit boxes, which would later be rescinded by higher authorities.
Stephanie Carfly would later leave Barley Snyder and George Warner would file an APPEARANCE for
FULTON BANK in August of 2011, without the knowledge of CATERBONE .
E. CATERBONE erroneously agreed to a stay up to 20 days, which amounted to a total stay of about
10 days, and three (3) months of outpatient treatment consisting of weekly visits to Erin, a
counselor at Pennsylvania Counseling Services on Pearl Street in Lancaster.
F. CATERBONE finally agreed to a see the resident psychiatrist after consistent badgering by Erin,
however, after showing up for the scheduled appointment, the Psychiatrist refused to keep the
appointment due to the fact the medical records were not transferred to Pennsylvania Counseling
Services, so CATERBONE was told.
G. CATERBONE filed the appropriate papers and received the medical records to Pennsylvania
Counseling Services, however the meeting was not kept due to the 3 months had ended.
H. Derrick Robinson, President of the Human Rights Group FREEEDOM FROM COVERT HARASSMENT
AND SURVEILLANCE did write a letter addressed to Erin stating the fact that CATERBONE was a
victim of Electromagnetic Weapon Assaults and listed several symptoms. The letter was hand
delivered during one of the weekly sessions.
I. CATERBONE did enjoy the appointments due to the fact it was the only person that would listen
to CATERBONE 'S accounts of the torture and abuse by electromagnetic weapons.
J. CATERBONE did request to keep seeing Erin after the 3 months had ended, however
PENNSYLVANIA Counseling Services refused saying that CATERBONE 'S insurance would not pay.
417. In May, Detective Clark Bearing did agree to drive CATERBONE to the FULTON BANK branch at
Manor Shopping Center to accommodate CATERBONE 'S request for a witness and transportation to
empty and deliver home the contents of 3 safe deposit boxes, which resulted from the illegal and
intentional NO TRESPASS NOTICE.
A. CATERBONE had previously arranged and had delivered and installed a safe from Neffsville Lock
and Safe on North Queen Street, Lancaster, prior to arranging for the emptying of the FULTON
BANK safe deposit boxes to provide safe passage for the all of the legal assets contained in the safe

CATERBONE v. PA Dept. of Human Services Page No. 67 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

deposit boxes.
B. Detective Clark Bearinger notified Fernando Sanchez while CATERBONE was emptying his safe
deposit boxes on the other side of the 4 foot partition that his son worked for the Central
Intelligence Agency, or CIA.
C. FULTON BANK provided CATERBONE a check for some $350.00 at that time to compensate him
for the outstanding time left on the contracts for the safe deposit boxes.
D. In December of 2015, Fernando Sanchez, the branch manager responsible for the illegal
no trespass notice was indicted and imprisoned on federal charges for embezzling more
than $99,000 from the MANOR SHOPPING CENTER ASSOCIATION account held at
FULTON BANK. Fernando was also a basketball coach at Lancaster Catholic High School. The
presiding Judge Was Judge Edward Smith, chambers and court in Easton, Pennsylvania, who in
2016, was illegally given the cases of CATERBONE when the clerk of courts of the eastern district
of Pennsylvania wrote an order transferring a case from Philadelphia Judge Anita Brody. The
alleged reason was that the perps keep hacking the gps system of CATERBONE and the fact that
it was a danger and threat to CATERBONE to attend hearings in a foreign city.
E. On May 6, 2016 Sanchez was sentenced to 15 months in Federal Prison when the Prosecutors
argued during a sentencing memorandum his actions reveal a pattern of misbehavior rather
than a sudden and single departure from an otherwise law abiding life.
418. On or about August 26, 2010 CATERBONE 'S brother Steve Caterbone arrives at 1250 Fremont
Street with their Mother, Yolanda Caterbone, who was brought home to rest and live out the remaining
years of her life at home after living 5 years in Southern Florida with son's Steve and Mike. Both Steve
and CATERBONE attend full-time to the care of their mother on a daily basis. Their mother was
suffering from congestive hear failure, a decreased renal failure that technically was
borderline for daily dialysis, full-blown dementia, had a heart pacemaker and stint, and the
inability to walk. CATERBONE possesses all of the medical reports to confirm the
preceding.
419. In September of 2010 CATERBONE 'S computer was hit by one of the first RANSOM viruses, which
requires a money transfer to cyberhackers in order to gain access to all of the data stored on the
computer. A-Plus Computers on Columbia Avenue in Lancaster provides the service of scrubbing the
hard drive, loosing all of the data, and installs the anti-virus software from AVAST. The next month
WGAL TV8 would report on the virus during the daily scam alerts. The cost was about $100.00.
Because of the expertise of the CATERBONE, no important or vital data was lost, and all was
contained on other back up media. Due to the fact that CATERBONE had by this time shut down all
social media sites, there was not much data to loose. Most activities surrounding CATERBONE 'S
ongoing litigation was shut down after the purposeful and malicious attack and illegal 302 Mental
Health Warrant by Lancaster City Detective Clark Bearinger. It was, at that time a successful strategy.
420. In the week before Christmas of 2010, Yolanda Caterbone was hospitalized via a 911 Emergency call

CATERBONE v. PA Dept. of Human Services Page No. 68 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

in one of three hospitalizations prior to her passing on June 29, 2011. This hospitalization was for a
urinary tract infection, which lasted about 3 weeks. Upon arrival back home, in home nursing visits by
VISITING NURSES would continue until her passing.
421. In March of 2011 Yolanda Caterbone falls while sneaking out of bed in the middle of the night and
breaks her hip requiring a total hip replacement at the tender age of 84. This hospitalization last about
a month.
422. In April of 2011 another hospitalization was required for fluid in the lungs.
423. On June 29th 2011, while under the care of HOSPICE, an on the Birthday of CATERBONE 'S
youngest brother and Yolanda Caterbones youngest son Tommy (who deceased on April 29,
1996 in Kill Devil Hills, North Carolina SEE WRONFUL DEATH COMPLAINT v. FULTON BANK)
died. The funeral and celebration took place on July 2, 2011 at St. Joseph Church. A
CELEBRATION was held in the back yard of 1250 Fremont Street. My MOTHER literally died
of a broken heart due to all of the circumstances surrounding the 60 some years of U.S.
Sponsored Mind Control, COINTELPRO, and Community Stalking.
424. In August of 2011, while Benadeth, Anna, and Alex (Anna's Boyfriend) come to visit during the
TOMMY CATERBONE MEMORIAL GOLF TOURNAMENT, Steve Caterbone vacates 1250 Fremont Street
and returns to Miami, Florida with his family.
425. CATERBONE will spend the next several holidays with the RODA Family.
426. On New Years Eve, 2011, former friend and now living in Florday, Kevin Hobday makes an
unannounced visit to 1250 Fremont Street with his family, wife Jill, and 2 daughters.
427. In November of 2012, a few days before the U.S. Presidential election, Steve Caterbone returns with
the infamous BIG BOY [ALLEGEDLY A VICTIM OF MIND CONTRO HIMSELF] AND BIG GIRL, the dogs
from Hell (THE LITTERLY ATE THE ENTIRE BACK YARD DRIVING CATERBONE NUTS)! Just Kidding.
RIP BIG GIRL!
428. On June 23, 2015 CATERBONE files an AMICUS BRIEF in the Lisa Michelle Lambert Habeus Case in
U.S. District Court for the Eastern District of Pennsylvania, Case No. 14-02559 and is captioned on the
Case as MOVANT. THIS WILL CAUSE EVEN MORE INCENTIVE FOR RETALIATION BY THE
LOCAL LAW ENFORCEMENT AND COMMUNITY WITH A MORE INTENSE COMMUNITY-WIDE
TORTURE AND HARASSMENT PROGRAM.
429. August 6, 2015 CATERBONE voluntarily seeks out and submits to a polygraph in West Chester,
Pennsylvania, in an effort to provide credit to the ongoing public relations campaign of slander and libel
by the Lancaster City Police Department. The Polygrapher was Ms. Bonnie Lee of Polygraph Solutions
LLC, 257 W. Uwchlan Ave, Downingtown, PA 19335. On the evening of August 6, 2015 Ms. Bonnie Lee
called and NOTIFIED CATERBONE THAT HE HAD FAILED THE POLYGRAPH. The following are
CATERBONE'S response which was used to file a complaint and refund from the credit card
company EPIC, which was on the record as COMPLAINT NO. SR1-2637592483. The
response is as follows:

CATERBONE v. PA Dept. of Human Services Page No. 69 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

I had chosen a one issue test and she kept changing the terminology of my question - dealing with
telepathy. Ms. Lee looked up the term on her smartphone and gave me definitions that were not
consistent with the technology, I had to provide me own definition on the fly without any
documents and write it down for her on her tablet for the test. My polygraph question was "Am I a
Victim of U.S. Sponsored Mind Control?" - I have the Social Security Disability Benefits to prove
that I am
As usual, there had to be some form of uninfluenced, typical of Targeted Individuals and Federal
Whistleblowers
Ms. Miller failed to inform me yesterday that she only accepts cash the day of the polygraph test; I
luckily read it on her website. It was buried on a 3 long screen text message
As usual my Apple Iphone GPS was again hacked and lead me in the wrong direction to the middle
of a development some miles away, fortunately I had prepared for this and had Ms. Lee provide me
with verbal instructions the day before
Again, as they did on my way to Carlisle, I was again given the electromagnetic attacks that
produce an intense need to sleep while driving
When I arrived early in the pre-test interview she tried to talk me out of continuing on with the
test; I had to almost threaten legal action due to the fact that I had paid a $300.00 credit card
deposit the day before the test. Maybe she does this to avoid taxes?
The entire process lasted from 1:50pm until 4:30pm and was exhausting. She admitted that she
performed more than the usual 3 chart test. I had actually fallen asleep for a few seconds due to
the electromagnetic sleep attack, and fought myself during the entire process not to fall asleep
I had to sit motionless for almost an hour and a half and she barked at me for the slightest
movement; which does not seem to be normal
She had tailored the profile questions to include any hint of behavior for my entire lifespan
During the profile interview I had warned her that the only way that I would fail would be due to
either her machinery or her conduct
SHE GUARANTEED ME THAT IF I TOLD THE TRUTH I WOULD PASS THE TEST; SHE FLAT
OUT LIED TO ME! I TOLD THE TRUTH DURING THE ENTIRE PROCESS!
CATERBONE filed a complaint with his credit card company to hopeful recover the $300.00
deposit.
She had 2 books in the corner of her office titled Brain Mapping and one on
Interrogation Techniques.
There were no breaks in between the charts. I finally had to ask to go to the bathroom before the
final chart.
During the profile session regarding personal integrity she had asked do you have any
bad behavior within the past 55 years.
I had asked her if she would release the results to third parties and she said that was alright
however she said she would have to include all my answers regarding the profile of my personal
information. I kept questioning why she would not just release the report she released to me and
she would not budge on her position.
430. On September 2, 2015 CATERBONE files a MOTION FOR SUMMARY JUDGEMENT FOR THE
IMMEDIATE RELEASE OF LISA MICHELLE LAMBER FROM PRISON, in the Lisa Michelle
Lambert Habeus Case in U.S. District Court for the Eastern District of Pennsylvania, Case No.
14-02559, which will wind through the U.S. Third Circuit Court of Appeals Case No. 16-1149
and 15-3400, which is now in the U.S. Supreme Court as Case No. 16-6822. THE FEDERAL
LAW DICTATES THAT LISA MICHELLE LAMBERT BE RELEASED FROM INCARCERATION. THE
COMMONWEALTH OF PENNSYLVANIA HAS CONCEADED ANY AND ALL CREDIBILITY
INVOLVING THAT CASE OVER THE PAST 2 YEARS WITH THE INTENTIONAL AND MALICOUS
CONDUCT AND RETALIATION AGAINST CATERBONE .
431. In August of 2015 Steve Caterbone vacates again to live with brother, Phil (Doctor, D.O. Family

CATERBONE v. PA Dept. of Human Services Page No. 70 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Practitioner), who had just moved from Austin, Texas, to Carlisle Pennsylvania.
432. In December of 2015, the week before Christmas, Steve, Big Boy and Big Girl leave Carlisle
Pennsylvania and return to Miami Florida. Our brother Mike Caterbone and his family (4 children) have
been living in Plantation, Florida since 1999.
433. On July 8, 2015 another ILLEGAL AND FABRICATED 302 MENTAL HEALTH WARRANT BY LANCASTER
CITY POLICE DETECTIVE CLARK BEARINGER.
434. In November of 2015 CATERBONE and Pennsylvania Attorney General Kathleen Kane
correspond to one another re the 1998 encounter with the NSA when CATERBONE was told that his
PERPETRATORS AND ENEMIES were the GOOD OLD BOYS.
435. On February 13, 2016 Associate Justice Antonin Scalia was found dead of apparent natural causes
Saturday on a luxury resort in West Texas, federal officials said.
NOTE: From the In Contravention of Conventional Wisdom - CIA no touch torture makes
sense out of mind control allegations, By Cheryl Welsh January 2008
The Defense Intelligence Agency has released a report on heavy Communist research
on microwaves, including their use as weapons. Microwaves are used in radar, television
and microwave ovens. They can cause disorientation and possibly heart attacks in
humans...
436. On February 19, 2016 another ILLEGAL AND FABRICATED 302 MENTAL HEALTH WARRANT BY
LANCASTER CITY POLICE DETECTIVE CLARK BEARINGER.
437. February 20, 2016 LISA MICHELLE LAMBERT Releases her book titled LOVE, MURDER AND
CORRUPTION in LANCASTER COUNTY. The book is sold at the local Barnes and Noble bookstore in
the RedRose Commons Shopping Center on the Fruitville Pike in Lancaster, PA.
438. On April 28, 2016 CATERBONE files an AMICUS BRIEF for then Pennsylvania Attorney General
Kathleen Kane in the Pennsylvania Superior Court in Philadelphia, Case No. 1164 EDA 2016 and in
named the AMICUS on the Caption.
439. On July 15, 2016 CATERBONE sends another invoice to Secretary of Defense Ash Carter for
approximately $3,245,000.00 million dollars for 29 years of Mind Control Victimization.
440. On August 6, 2016 CATERBONE files yet another FBI IC3 ONLINE COMPLAINT with the FBI and
delivers a hard copy to the Harrisburg Office.
441. On August 15, 2016 LNP reports ANOTHER SUSPICIOUS DEATH. Convicted killer Robert Zook
Jr. dies in state prison. A few days prior CATERBONE has a conversation regarding his
allegations of Robert Zook being a Targeted Individual with 3 Lancaster County Sheriff's at
the Marion Courtroom outside dining area. Robert Zook testified during a Pennsylvania
Supreme Court Appeal and the following come from the December 11, 2000 OPINION :
A. Appellant claims that he cannot effectively communicate with counsel any longer due to
his fixed delusional belief that a radio transmitter has been inserted in his brain which
monitors his every move and which can prove that he is innocent of the charges. At the

CATERBONE v. PA Dept. of Human Services Page No. 71 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

competency hearing, Dr. Robert Sadoff, M.D. and Dr. Larry Rotenberg, M.D. testified on
behalf of the defense and Dr. Timothy Michals, M.D. testified on behalf of the
Commonwealth. Appellant also testified. Appellant testified regarding his belief that the
Department of Corrections implanted a radio transmitter in his head that enables them
to control his thoughts, pump conversation into Appellants head, and project images
into his field of vision. Additionally, Appellant claims that his counsel is involved in a
number of illegal activities and is part of a conspiracy to defraud his family of large sums
of money which initially started in 1979.1 Appellant testified that in 1979, there was a
drug raid in counsels law office involving members of the Pagan motorcycle gang and
Appellants mother. He claims that during this raid, a radio transmitter, similar to the one
he claims is implanted in his head, was removed from his mothers abdomen with a
knife. Appellant is disturbed that his counsel will not litigate this issue of the radio
transmitter. He believes that some type of technology would enable the prosecution
and/or the defense to explore the actual crime scene via the radio transmitter and that,
therefore, the issue of the radio transmitter must be explored in the [J-205-2000] 5
pending PCRA proceedings.7 Appellant insists that he is not mentally ill and that he is
innocent of the murders. He also believes that his counsel actively is seeking to have him
executed. The court explicitly disagreed with counsels claim that Appellants delusional
beliefs interfere with his ability to trust and work with his counsel. In support of that
conclusion, the court noted that Appellant has not terminated his relationship with
counsel despite his attempts to advance his theory regarding the Transmitters; he was
extremely polite and respectful to counsel during the hearing and demonstrated no
hostility or animosity towards either of his counsel; and that if Appellant honestly
believed that his attorneys were working to have him executed, or that they had
defrauded his family in the past, he would not treat them so congenially. The court
ultimately concluded that Appellant was not mentally ill and not incompetent to proceed.
442. August 22, 2016 CATERBONE files a Preliminary Injunction for Emergency Relief, Case No. CI-05842
in the Lancaster County Court of Appeals in order to have a JUDGE ORDER attending physicians to
continue the practice of prescribing pain medications to treat the pain associated with CATERBONE'S
back and legs, which has been the practice since at least 2009. THE LANCASTER COUNTY JUDICIAL
BENCH REFUSES TO EVEN ADDRESS THE CIVIL ACTION ANOTHER CRIME OF OBSTRUCTION OF
JUSTICE AND TORTURE. A COMPLAINT WAS FILED IN THE OFFICE OF THE JUDICIAL CONDUCT
BOARD OF PENNSYLVANIA IN HARRISBURG, PA in December of 2016
443. On October 1, 2016 CATERBONE'S 2004 Santa Fe was stolen via a tactic of a perpetrator named
John Keener physically harassing and restraining CATERBONE from exiting Hildy's Bar on the corner of
East Frederick and N. Mary Street in Lancaster, while the towing company LANCASTER FLEET AND
AUTO, known as LFA, towed the car away to the impound lot. After a stolen car claim was filed to

CATERBONE v. PA Dept. of Human Services Page No. 72 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE'S insurance carrier GEICO, on October 27, 2016 LFA called CATERBONE to notify him that
the car was towed and impounded on October 1, 2016 and demanded the payment of $960.00 in
order to get the car back A Classic Case of Extortion and Theft by Deception.
444. On October 7, 2016 perpetrators vandalized and rendered useless CATERBONE'S Xerox
Copier/Fax/Scanner causing costs of several thousand dollars in travel expenses, printing costs,
time, and energy due to the fact that Harrisburg was the most cost effective location for copy services.
The cost at Harrisburg State Street Copy was $.07 cents v. $.20 in Lancaster. The Xerox was
printing at about $.02 per copy and replacement is approximately $500.00. Another item on
the ALLSTATE INSURANCE CLAIM for damaged/stolen property, which totals approximately
$10,000 to date.
445. On November 6, 2016 the SUNDAY NEWS OF LNP reports Feds probe Fulton Bank, 3 others for
possible fair-lending violations. The article states Fulton Bank, the biggest bank in
Lancaster County, and three sister banks are being investigated for possible violations of
federal fair-lending laws. The newly widened probe was disclosed Friday by Fulton Financial,
the holding company for the banks, inside a routine filing about its quarterly profits.
According to Fulton Financial, the U.S. Department of Justice is looking into potential
lending discrimination on the basis of race and national origin at the four banks that may
have occurred since Jan. 1, 2009. The link to the article is
http://lancasteronline.com/insider/feds-probe-fulton-bank-others-for-possible-fair-
lending-violations/article_3e0bfacc-a2d2-11e6-baba-f35c4009ce63.html
446. On November 12, 2016 CATERBONE writes and produces the document titled FALSE
IMPRISONMENT AND ILLEGAL INTERROGATIONS by U.S. Intelligence Agencies November
12, 2016. The document contains the following:

DEFENSE INTELLIGENCE AGENCY (DIA) - July of 2005, Austin Texas Brigadier General John
C. L. Scribner Texas Military Forces Museum: A. Upon getting clearance by the Military Police
at the gate to enter I was apprehended by 2 white male DIA Agents dressed in suit and ties while
viewing old Huey Helicopter, and escorted outside in front of my 2005 Honda Odyssey. The 2 DIA
Agents identified themselves and interrogated me for approximately 1 hours. Interrogation
included International Signal and Control, PLC., or ISC Whistleblowing and Claims in U.S. Federal
Court, 05-cv-2288. Agents searched my vehicle and reviewed documents that I had with me. They
would not allow me to leave until they confirmed that I was staying with my brother, Dr. Phillip
Caterbone of Austin, Texas by calling his medical office and confirming with his office manager. I
was ORDERED NOT TO VISIT ANY MILITARY BASES OR FACILITIES NOW OR IN THE FUTURE before
being released.

NATIONAL SECURITY AGENCY (NSA) March 8, 2016 NSA Headquarters, Ft. Meade,
Maryland: A. At about 8:00pm I entered the back parking lot of the Lancaster City Police Station
to deliver a document to the front desk for Detective Clark Bearinger. After pulling into a parking

CATERBONE v. PA Dept. of Human Services Page No. 73 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

spot 3 or 4 patrol cars moved into position around my car and Lt. McCord approached my window. I
told him why I was there and he ORDERED me to leave immediately. I had intended to go to the
Office Depot to mail via USPS Priority Mail my Request for the COMMUTATION OF LISA MICHELLE
LAMBERT'S PRISON SENTENCE addressed to President Obama. After the incident at the Lancaster
City Police Station I decided to drive to Washington, D.C. Either deliver the prepared priority mail
package at the White House Guard Gate, or mail it from another copy center inside Washington,
D.C. On Route 95South I saw the exit for Ft. Meade and thought I would take a few pictures of the
NSA Headquarters building that is always depicted in official photos. Along the exit ramp to Ft.
Meade, there was a sign for the NSA Museum. I could not find the right ramp, it was very confusing
in the dark and saw the NSA Guard Gate and a female NSA Policewoman standing outside the
guard gate. I decided to approach the guard gate and ask directions, but as soon as I entered the
guard gate, the female officer got in a car a drove through the gate. I stopped at the booth and
asked the male NSA Police Officer where the museum was. He asked what I was doing and where
my destination was. I explained and he asked me if I wanted to talk to someone. I responded yes,
and he took my USPS Priority Mail my Request for the COMMUTATION OF LISA MICHELLE
LAMBERT'S PRISON SENTENCE addressed to President Obama and inspected it inside the security
booth. He requested me to pull through the guard gate and instructed me to park inside the
guarded NSA complex. As soon as I pulled into the designated parking spot, another 2 or 3 NSA
Police Cruisers arrived. I was instructed to shut off my engine and exit the vehicle. 2 NSA Police
Officers said for security purposes to empty my pockets and place my belongings on top of the
hood of my 2007 Honda CRV. Then, suddenly they handcuffed me and a few more NSA Police
Cruisers arrived. They began asking questions and asked if they could inspect my car, and I said of
course. I later turned around and they had a NSA Canine sniffing my car. It soon turned hostile and
at least 8 NSA Police took turns interrogating me on everything from International Signal and
Control, PLC., or ISC Whistleblowing and Claims in U.S. Federal Court to my mental health record,
employment status, and my recent online job applications. In the past, in order to counter the
HARASSMENT PROGRAM, I would apply for various employment postings by the intelligence
community. They kept asking if I had applied to the NSA, and I kept telling them that I could not
remember. The interrogation lasted about 1 1/12 hours before I was ORDERED TO RETURN TO
LANCASTER AND NEVER TO ENTER ANY FEDERAL FACILITY IN THE FUTURE. I immediately returned
home to Lancaster, prepared a USPS Priority Mail Envelope in my home/office at 1250 Fremont
Street, then went to a USPS Drop Box. I later closed down my FACEBOOK account, never to open it
again.

NATIONAL SECURITY AGENCY (NSA) 1998 A Job Fair at a converted Car Dealer in York,
Pennsylvania: After attending the Job Fair I was getting ready to get into my car when a
older white male dressed in a suit approached me. At the time, I was again the the midst
of community stalking and harassment. He identified himself as being from the National

CATERBONE v. PA Dept. of Human Services Page No. 74 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Security Agency, or NSA. I asked him if he could stop the harassment and stalking and he
replied, Stan, it is not us, it is the 'Good Old Boys'. We then had a cordial conversation
for about 15 minutes or so, then parted ways.
447. On November 15, 2016 CATERBONE sends via USPS Priority Mail a Letter to President Obama and
asks for the COMMUTATION OF LISA MICHELLE LAMBERTS SENTENCE. THE LETTER WAS RECIEVED
AND CONFIRMED. THE FOLLOWING IS A LINKS TO THE LETTER:
A. https://www.scribd.com/document/331229947/Letter-REQUEST-for-COMMUTATION-
of-the-Sentence-of-Lisa-Michell-Lambert-to-President-Obama-November-15-2016
448. On November 18, 2016 CATERBONE sends a letter to Judy Astacio, Consumer Services
Investigator, Pennsylvania Department of Insurance, Bureau of Consumer Services which
contains the following:

As per you letter of November 7, 2016 and GEICO's Letter of October 27, 2016 it seems that this
case is another example of an attempt to slander and libel my person and character. It is quite
peculiar that on the very same date, OCTOBER 27, 2016 Lancaster Fleet and Auto Service (LFA)
Clerk, named Clark, called me at about 8:25am and informed me that LFA had my 2004 Santa Fe
auto stored in their IMPOUND LOT. Now, of course my first question was why did you not call me
on October 1, 2, or 3 rd? LFA informed me that per protocol for every tow, they immediately notify
the Lancaster City Police Department. As per my statement, John Keener Assaulted me at about
2:05am on Saturday, October 1, 2016 and stood between me and the exit door and would not let
me leave HILDEY's Bar. As you can see in my documentation, the LFA Tow Log and My Photo prove
that this event was set up in advance to ACCOMPLISH THE FOLLOWING MALICOUS AND
PURPOSEFUL AGENDA:
Make it appear my 2004 Santa Fe was stolen THEFT BY DECEPTION
Extort the Tow and Impound Fees of $860.00 EXTORTION
Leave me without transportation and making me ride my bike and take the RRTA Bus
PAIN AND SUFFERING DUE TO BACK AND GROIN PAIN

Because of item no. 3, the Lancaster Community fabricated stories that my PA Drivers License was REVOKED
and my 2004 Santa Fe was REPOSSED for NON PAYMENT ON A LOAN. LIBEL AND SLANDER (Written of
Social Media Sites) In addition, GEICO had forged my STATEMENTS for the DECLARATION and
REFUSE TO ADHERE TO MY REQUEST FOR HALF TORT AND CHARGED ME FULL TORT, ANOTHER
METHOD TO EXTORT A HIGHER PREMIUM, EVEN AFTER MY REPEATED PHONE CALLS TO REMEDY
THE ACT. Following are links that you must consider and I suggest you refer this matter to Mr.
Beamer and the PENNSYLVANIA ATTORNEY GENERAL WHITE COLLAR CRIME UNIT.

449. On November 21, 2016 CATERBONE updates the Anti-Stalking Legislation handout and visits the
Pennsylvania Capital to distribute to the members of the Judiciary committee, which were originally
visited back in the summer of 2015.
450. On November 25, 2016 CATERBONE sends a USPS Priority Mail letter to the law firm of A. Barry
Cappello and Leila J. Noel, known as Cappello & Noel, LLP which reads:
A. In 1987 I visited your firm and delivered 3 blue binders for your review of my Lender
Liability Case. Well, my legal journey has certainly progressed since that visit. If you
would like to litigate the Lender Liability of my claims, you are more than welcomed to it.
Attached is a document for your review, titled Documents for LETTER to Barry
Cappello of Santa Barbara, CA November 25, 2016. In addition the following links may
be helpful:

CATERBONE v. PA Dept. of Human Services Page No. 75 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

451. On November 30, 2016 CATERBONE files another AMICUS BRIEF for former Pennsylvania Attorney
General Kathleen Kane in the Middle District Superior Court in Philadelphia, in person, case no. 3576
EDA 2016. CATERBONE will find that the Prothonotary inadvertently in an attempt to cover up the
filing lists the AMICUS BRIEF as filed by APPELLANT KATHLEEN KANE ON THE DOCKET SHEET, and
despite repeated calls to the PROTHONOTARY OFFICE, they refused to list CATERBONE as the filer.
For reference CATERBONE kept referring the clerks to 1164 EDA 2016, which lists Stanley J.
Caterbone, Pro Se as the filer from the beginning.
452. On December 8, 2016 in case no. 1219 MDA 2016 CATERBONE v. The Lancaster City Police in the
Pennsylvania Superior Court CATERBONE files a brief which is due on January 7, 2017.
453. On December 8, 2016 the LANCASTER CITY POLICE are represented by the attorneys Handwerger,
Barry Nathan and Neil Albert of Zimmerman, Pfannebecker, Nuffort & Albert
454. On December 8, 2016 the United States House of Representatives passed HR 4919, which given the
current circumstances the LANCASTER CITY POLICE DEPARTMENT MOST LIKELY ALREADY APPLIED
FOR A GRANT TO CHIP CATERBONE - the following is from an article in the ATIVIST POST by Whitney
Webb on December 13, 2016
A. Last Thursday, the House passed HR 4919, also known as Kevin and Avontes Law, which
would allow the US attorney general to award grants to law enforcement for the creation
and operation of locative tracking technology programs. Though the programs mission
is to find individuals with forms of dementia or children with developmental disabilities
who have wandered from safe environments, it provides no restriction on the tracking
programs inclusion of other individuals. The bill would also require the attorney general
to work with the secretary of health and human services and unnamed health
organizations to establish the best practices for the use of tracking devices. Those in
support of the legislation maintain that such programs could prevent tragedies where
those with mental or cognitive disabilities wandered into dangerous circumstances. Yet,
others have called these good intentions a Trojan horse for the expansion of a North
American police state as the bills language could be very broadly interpreted.
455. On December 12, 2016 CATERBONE files a complaint to the Pennsylvania Judicial Conduct Board v.
Judge David Ashworth for the following:

On September 22, 2016 A Preliminary Injunction For Emergency Relief For Pain
Medications And A Therapeutic Spa Via His Medicare Supplemental Insurance Was Filed
By Stan J. Caterbone, In Pro Se
On September 22, 2016 The Caption Entry Was Listed As: Stan J. Caterbone Vs. Lancaster
General Hospital; Abbeyville Family Medicine; Patient First Urgent Care; Southeast
Medical; Medexpress Urgent Care; Lancaster Regional Medical Center And The Lancaster
City Police Department
On October 3, 2016 A Motion For A 30-Day Continuance, Was Filed By Stan J. Caterbone
On October 3, 2016 An Exhibit Was Filed By Stan J. Caterbone In Pro Se
On October 31, 2016 The Case Was Assigned To Judge Ashworth
On November 15, 2016 A Motion For Summary Judgment, Was Filed By Stan J. Caterbone
See The Attached Document For Your Review.
Legal question And Complaint Why Did The Judge Not Rule On The In Forma Pauperis
And The Preliminary Injunction For Emergency Relief? This Is A Clear Violation Of Due
Process, A Violation Of The Obstruction Of Justice Clauses, And Furthers The Torture
Program By Not Allowing The Plaitiff The Relief Requested And Covering Up The Entire
Case.

CATERBONE v. PA Dept. of Human Services Page No. 76 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

456. On December 12, 2016 CATERBONE 'S last printer was vandalized making it impossible to
scan the stamped documents from the Pennsylvania Superior Court Prothonotary for Case No. 1219
MDA 2016 and the stamped copy from the Pennsylvania Judicial Conduct Board complaint v. Lancaster
County Court of Common Pleas Judge David Ashworth, both located at the Pennsylvania Judicial Center
on Commonwealth Avenue in Harrisburg. CATERBONE is also in the midst of litigation in the
U.S. Supreme Court, as a PRO SE LITIGANT, in Case No. 16-6822 for the Lisa Michelle
Lambert Habeus Corpus Case 14-02559 of the Eastern District Court of Pennsylvania, which
CATERBONE is named MOVANT. The case is going to be distributed to the Supreme Court
Justices on January 7, 2016 for that Conference. The Case was appealed from the U.S. Third
Circuit Court of Appeals Case No. 16-1149 by CATERBONE . The docket can be viewed at the
following link:
457. Again, as usual, CATERBONE was harassed while trying to relax and have a drink at the Marriott
Bar at Penn Square, by an unknown female patron, who was suspiciously seated next to him.
458. On Wednesday, December 14, 2016 AS USUAL THE DAY STARTED WITH AN UPRECEDENTED
AMOUNT OF COMPUTER/SMART PHONE HACKINGING. CATERBONE had an electric blanket, flashlight
stolen, had the air in his 2004 Santa Fe tires deflated, twice, (MOST LIKELY THE SPANISH LOW-LIFE'S
OF 1252 FREMONT STREET) had the attendant at the SHEETZ store on Manheim Pike turn the pump to
the tire pump off, as to deflate the tires, and was again harassed and treated as a VICTIM OF A HATE
CRIME while out for a drink and music at the VILLAGE NIGHTCLUB. While filing court mandated papers
at the PROTHONOTARY OFFICE OF THE PENNSYLVANIA SUPERIOR COURT IN HARRISBURG, PA was
again harassed by the PENNSYLVANIA CAPITOL POLICE with unnecessary banter at the security check.
THE SAME BLACK MALE CAPITOL POLICEMAN has been harassing for the past few months. AGAIN THE
NEIGHBORS AT BOTH 1252 AND 1248 ENGAGED IN SHADOWING CATERBONE 'S MOVEMENTS WITH
MAKING NOISES WHEN MOVING ABOUT HIS HOME, AND AGAIN WALK OUT THE DOOR WHENEVER
CATERBONE LEAVES HIS HOME, A CLASSIC GANG-STALKING TACTIC TO HARASS.
459. On December 16, 2016 CATERBONE learns that Attorney Christopher Patterson is running for a
judgeship in the Lancaster County Court of Common Pleas. CATERBONE tweets the document titled
CHRISTOPHER PATTERSON Candidate for JUDGESHIP and His 1987 EFFORT FOR MY GUARDIANSHIP
Friday December 16, 2016 which outlines and provides evidence of the continued strategy and tactic
of the following:

Guardianship Outlined In August 24 And August 10 Letters From Robert Kauffman, Then
President Of Fmg,Ltd., The Company I Founded
Christopher Patterson Was A Former Partner Of Lancaster Mayor Rick Gray
In 2006 I Went To Christopher Patterson's Office Across From The Lancaster County
Courthouse And Confronted Him He Denied My Allegations
Every Sunday I Attend The 9:00 Mass At The Chapel In Lancaster Regional Medical
Center He Walks In After Me No Matter What Time I Arrive
A Guardianship Still A Prime Strategy By The Law Enforcement Today Would Allow My

CATERBONE v. PA Dept. of Human Services Page No. 77 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Guardians To Dismiss Every Civil Complaint And Every Court Proceeding On My Behalf
It Was Effective For The Targeting Case Of Pop Singer Brittany Spears
Attached Are Original Documents For Evidence
460. On December 17, 2016 after again being hacked while working on legal documents
CATERBONE calls the FBI Harrisburg Office and leaves a voice message with the DUTY
AGENT with his address and phone number after the receptionist transfers the call to the
duty agent voice mail. OVER THE PAST SEVERAL MONTHS THESE CALLS HAVE TEKEN PLACE
ON SOMETIMES A WEEKLY BASIS AFTER COMPLAINTS TO LOCAL AND STATE OFFICIALS
CONTINUE TO FALL ON DEAF EARS. THE FBI, OF COURSE, DOES NOTHING TO STOP THE
COMPUTER HACKING. IN THE SUMMER OF 2015, THEN CHIEF OF DETECTIVES FOR THE
LANCASTER COUNTY DISTRICT ATTORNEYS OFFICE, MICHAEL LANDIS, IN A MEETING ON
THE 5th Floor of the Lancaster County Courthouse, Detective Landis made a declaratory
statement that the FBI was the computer hacker.
461. On December 18, 2016 The learns for the first time that the wedding of April 25, 2009 at
St. John Neuman when the former Secretary of Defense, Director of CIA Robert Gates came
to Lancaster was for his niece, Venessa Dziuba, who was a 1997 Graduate of Lancaster
Catholic High School. CATERBONE never reviewed who the niece was until this date and
had connected to her on LINKDIN a few hour later with her accepting. Her father, Theodore
Dziuba resides in Lancaster while the couple reside in the state of Washington.
462. IMPORTATANT FOR THE CASE v. City of Lancaster. In November of 2004 CATERBONE 'S
mother, Yolanda Roda Caterbone required a surgical procedure to implant a stent in a
clogged choractic artery at Lancaster Regional Hospital. CATERBONE had agreed to spend
several days with his mother at 1250 Fremont Street after taking her to the hospital for the
procedure, however the break-ins at his home at 220 Stone Hill Road, Conestoga, PA
thwarted those plans and instead CATERBONE 'S brother, Steve, agreed to come home from
Miami, FL to accompany his mother. After the procedure one of the hard wired smoke
detectors began to go off. CATERBONE 'S uncle, Ben Roda, brother of Yolanda Roda
Caterbone was then a Lancaster City Code Inspector and summoned a Lancaster City
Employee and an inspector from the local UGI Gas Company. Both had determined that the
22 year old furnace was omitting carbon monoxide and required IMMEDIATE REPLACEMENT.
Ben Roda (Uncle Benny) instructed Steve to go to LANCASTER CITY HALL and meet with
staff regarding a Homeowners Grant to replace the furnace. That did not work, and instead
of both Steve and Yolanda waiting until Christmas, both immediately took a train to
FLORIDA, vacating 1250 Fremont Street. CATERBONE attended the family home and found
the entire furnace ordeal was a ploy to get CATERBONE 'S mother out of the City of
Lancaster in an effort to clear the way for the EXTREME HARASSMENT AND TORTURE BY
ELECTROMAGNETIC WEAPONS PROGRAM TO TAKE PLACE. THE FURNACE WAS NOT
INSPECTED OR REPLACED UNTIL 2015 WITHOUT ANY PROBLEMS UP UNTIL THAT TIME.

CATERBONE v. PA Dept. of Human Services Page No. 78 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

CATERBONE BELIEVES THE CITY OF LANCASTER WAS THAT DECIEVING IN EVEN


CONVICING BEN RODA THAT THE FURNACE DIS MALFUNCTION. THE CITY OF LANCASTER
HAS A LONG HISTORY OF DECIEVING AND BRAINWASHING YOLANDA CATERBONES
BROTHERS TO ADVANCE THE AGENDA AGAINST CATERBONE 'S FATHER, SAMUEL CATERBON
JR., WHICH BEGAN IN THE EARLY 1960'S WHEN HIS TARGETING BEGAN, A PROGRAM
INTIATED WHILE SERVING IN THE U.S. NAVY.
463. ILLEGAL NO TRESPASS NOTICES AGAINST STAN J. CATERBONE AND ADVANCED MEDIA
GROUP With Violations of Public Accommodations Law re Discrimination and Anti-Trust
Violations with False Statements to Authorities
David Pflumm Properties by David Pflumm Served by State Constable in June of
2005, original not signed by David Pflumm
Eden Resort Inn, by Drew Anthon, Owner Sent via 1st Class Mail in 2005.
Barley Snyder, LLC Lancaster Office, by Shawn Long, Esq., Attorney representing
Fulton Bank in 2006 Sent via 1st Class Mail
Lancaster Newspapers, Inc., by Steve Weaver, Manager in 2006, No Notice,
Corraborated by Jack Buckwalter, Chairman and CEO and George Warner, Atty with
Barley Snyder, LLC, No Formal Notice, allowed to reenter in 2015.
Ruby Tuesday, Manor Shopping Center, Lancaster, by Manager and Lancaster City
Police in 2006, No Formal Notice, allowed to reenter in 2015.
Alley Kat Restaurant and Bar, Lancaster by Bartender Ms. Santinello, Brett Stabley,
and Lancaster City Police, No formal Notice in 2006
Village Nightclub, Lancaster by George in 2008, No Formal Notice
Marion Court Restaurant, Lancaster, by Security Personnel, corroborated by Michael
Geesey, in 2008, No Formal Notice, allowed to enter in 2015.
Valentinos Cafe, Lancaster, by Jeanine, Bartender,in 2008, corroborated by John
Valentino, Owner, No Formal Notice
Brunswick Hotel, Lancaster, by Staff Employees, in 2008, No Formal Notice
Lancaster County Library and Duke Street Business Center, by Executive Director in
March of 2009, by 1st Class Mail
Anne Bailey's Restaurant and Bar, Lancaster, by Manager in 2009, No Formal Notice
Millersville University Graduate Studies and Millersville University, Millersville, by Lori
Austin, Judicial Affairs, via Certified Mail in June of 2009.
TGIF Friday's, Lancaster, by Manager, in January of 2010, No Formal Notice
Lucky Dog Restaurant and Bar, Lancaster, by Robert Donnelly, in January of 2010, No
Formal Notice
Saint Mary's Catholic Church, Lancaster, by Don Spica, Usher and Lancaster City
Police Department in Feb of 2010, No Formal Notice
O'Halloran's Bar, Lancaster, March 25, 2010 by Male Staff Employee. No Formal
Notice.
Fulton Bank, Fulton Financial Corporation, March 26, 2010 by Susan Follmer, Security
Officer.
Lancaster General Hospital, Gary S. Gehman, MD, May 25, 2010, for recording Dr.
Brian Sullivan of Abbeyville Family Health re U.S. Sponsored Mind Control and posting
on my Wordpress Blog.
Tobias Frog Restaurant and Bar, August 8, 2015 by Owner of Establishment, reason
was for complaining of harassment and stalking.
Millersville University, July 9, 2015, served notice by Millersville University Police
Chief Pete Anders, for negotiating a civil rights complaint with Assistant to the
President, Debra Hoeckler
Village Nightclub, July of 20015, by George..........., Owner, tried to enter several
times, with no reason and no written notice.
Lucky Dog Bar, August of 2015, met Abby and Keagan Pflumm outside, went inside

CATERBONE v. PA Dept. of Human Services Page No. 79 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

and was told by bartender to leave and not come back.


Barley Snyder, LLC Lancaster Office, receptionist Ms. Woods refused to let me
communicate with Attorney George Werner, who in 2011 entered appearance in 05-
2288 for Fulton Bank in U.S. District Court.
Wennerstrom Property Management Company, June 2015, went to complain
regarding harassment, threats, etc., at 1252 Fremont Street and told to leave
building.
Pennsylvania Liquor Control Board, Northwest Office Building, November 23, 2015,
Harrisburg, PA, Delivered COMPLAINT re Bars and Restaurants in Lancaster engaged
in Discrimination, Stalking, Harassment, Assaults, etc., Would not allow access to
Legal Counsel, and female who took complaint would not provide ID.
Southeast Medical Facilities and Brightside Church Office, February 2016, Would not
issue pain medication and filed a Private Criminal Complaint with the Lancaster
County District Attorney, no opinion as of yet.
Pennsylvania Attorney General's Office in Strawberry Square, Harrisburg, PA I
arbitrarily received a phone call while delivering a CD-ROM to PA Attorney General
Kathleen Kane re CORRUPTION OF JUDICIAL, LAW ENFORCEMENT, AND
POLITICIANS of Pennsylvania.
U.S. Federal Facilities per the National Security Agency Interrogation of March 9,
2016 at the NSA Headquarters in Ft. Meade, Maryland. Handcuffed and Interrogated
for over an hour and finally let go and told not to continue on to Washington, D.C. And
said I was no longer permitted to visit any U.S. Federal Facilities.
Lancaster Newspapers In June of 2016 I arbitrarily received an email the day I was
supposed to participate in a town meeting at LNP and warned me that I was banned
and had been for years although in the year before I had meetings with editors
regarding my MOVANT standing in the Lisa Michelle Lambert case.
TELLUS360, May of 2016, I went to enter on a weekend night and the doorman told
me I could not enter that night without any explanation or reason.
Yorgos Restaurant and Bar, The owner, Mrs. Arbitrarily barred me during the month
of March, right before the false imprisonment at the NSA in Ft. Meade, Maryland
Annie Baily's Irish Pub, A bartender arbitrarily barred me in July, then they allowed
me in then again a so called Manager banned me again. I recorded the last
incident.
Altana Club, Bar, and Meeting Space On Thursday, July 14, 2016 Scott, the
bartender arbitrarily banned me, which again I recorded.
The Press Room Bar and Restaurant A bartender arbitrarily barred me, then again
on Thursday July 14, 2016 another bartender banned me, which again I recorded.

464. STANLEY J. CATERBONE, PRO SE LITIGATOR 29 FALSE ARRESTS FROM 1987 TO 2007
1. 09/01/1987 Cc2706 Terroristic Threats - M1 Quashed / Dismis / Demur Sus
2. 09/03/1987 Cc2902-1 Unlawful Restraint - M1 Quashed / Dismis / Demur Sus
3. 09/03/1987 Cc3304a2 Criminal Mischief - F3 Nolle Prossed / Withdrawn
4. 09/03/1987 Cc3502 Burglary - F1 Quashed / Dismis / Demur Sus
5. 09/03/1987 Cc3701al Robbery - F1 Quashed /Dismis /Demur Sus
6. 09/03/1987 Cc3921a Theft By Unlwf Taking Or Dispo F3 Nolle Prossed / Withdrawn
6. 09/03/1987 Cc3933a1 Unlawful Use Of Computer - F3 Nolle Prossed /Withdrawn
7. 09/03/1987 Cc3933a2 Unlawful Use Of Computer - F3 Quashed / Disnis / Demur Sus
8. 12/05/2006 1 18 5503 A2 Disorderly Conduct-Unreasonable Noise - Withdrawn
(Lower Court)
9. 12/05/2006 1 18 3926 A4 Theft Of Services-Acquisition Of Services Withdrawn
(Lower Court)
10. 12/05/2006 1 18 2709 A7 Harassment - Comm. Repeatedly In Another Manner
Withdrawn (Lower Court)
11. 01/23/2007 1 285-21d No Parking Or Stopping Permitted Withdrawn (Lower Court)
12. 01/23/2007 1 285-30a Meter Violation Withdrawn (Lower Court)

CATERBONE v. PA Dept. of Human Services Page No. 80 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

14. 01/23/2007 1 18 6501 A1 Scatter Rubbish Upon Land/Stream Etc Dismissed


(Lower Court)
15. 01/23/2007 1 285-21d No Parking Or Stopping Permitted Withdrawn (Lower Court)
16. 01/23/2007 1 285-30a Meter Violation Withdrawn (Lower Court)
17. 01/18/2007 1 75 1543 A Driv While Oper Priv Susp Or Revoked Not Guilty
18. 01/18/2007 1 75 1786 F Oper Veh W/O Req'd Financ Resp Not Guilty
19. 04/30/2007 1 18 5503 A4/ Disorder Conduct Hazardous/Physi Off Not Guilty
20. 04/30/2007 2 18 5507 A / Obstruction Highways Not Guilty
21. 04/30/2007 3/ 18 2709 A3 Harassment - Course Of Conduct W/No Legitimate
Purpose Nolle Prossed
22. 04/30/2007 1 75 3111 A / Disregard Traffic Control Device Not Guilty Nolle
Prossed
23. 05/10/2007 M2 18 5104 Resist Arrest/Other Law Enforce 08/04/2006 K4775120
24. 05/10/2007 3 M1 18 908 A Make Repairs/Sell/Etc Offens Weap 08/04/2006
K4775120 Nolle Prossed

452. FINANCIAL RESOURCES SOCIAL SECURITY DISABILITY MONTHLY BENEFIT AMOUNT


IS $1,379.00 NET PER MONTH AFTER DEDUCTING MEDICARE AND SUPPLEMENTAL HEALTH
INSURANCE STAN J. CATERBONE has been collecting Social Security Benefits for
symptoms and illnesses as a direct result of the SYMPTOMS AND ILLNESSES RELATED TO
U.S. SPONSORED MIND CONTROL TECHNOLOGIES since 2008, and the Social Security
Administration declared STAN J. CATERBONE PERMENENTLY DISABLED on December 5,
2005; the date that STAN J. CATERBONE declared a victim of 24/7 synthetic telepathy.
Stan J. Caterbone applied for benefits in April of 2009 and on August 26, 2009 received a
check for $21,456.00 REPRESENTING one year of retroactive benefits, monthly benefits
began in September of 2009 and MEDICARE Benefits began in April of 2010. THE COMPLETE
200 PAGE CASE FILE IS AVAILABLE AND HAS BEEN POSTED ON SEVERAL SOCIAL MEDIA
SITES.

453. I) In May of 2015 Stan J. Caterbone's CASH RESERVES were approximately $60,000 in
various cash accounts. This fact is evidenced in the Application for Homeowners
Rehabilitation Program with the City of Lancaster. In January when the Trump
Administration entered the White House the cash reserves were approximately $11,200.00.

454. The cash reserves have been depleted to approximately $5,000 through a systematic
and calculated program of vandalisms, thefts, fraud, and extortions. The Preliminary
Injunctions for Emergency Relief filed in Federal and State Courts are ATTEMPTS TO
MITIGATE these programs. Injunctions have been filed for the past 10 years in various
courts. See the Stan J. Caterbone Court CORECTED Matrix as of APRIL 18, 2017 for details.

455. II) In 2005 Stan J. Caterbone filed a Chapter 11 Reorganization Bankruptcy Case in
the U.S Bankruptcy Court for Eastern District of Pennsylvania in Reading, Pennsylvania,
Case No. 05-23059. The Chapter 11 case was filed exactly one week after filing in U.S.
District Court Case No. 05-2288. The purpose of the Chapter 11 Reorganization Plan was to
alert the creditors from 1987 to date that all accounts would be paid in full from the future
settlements from the claims of CATERBONE v. The Lancaster County Prison, et.al., No. 05-
2288. The initial bankruptcy plan was dismissed in August of 2011 without any resolution
and without any creditors being paid any funds.

456. III) As the federal and state claims were litigated and preserved from ORDERS of the
U.S. Third Circuit Court of Appeals, Cases No. 07-4474 and 07-4475 in 2008, further
attempts to litigate all claims again became futile due to the efforts of the COINTELPRO
PROGRAM, which is responsible for the computer and electronic hacking, the HARASSMENT
Program, and ultimately the LANDMARK OBSTRUCTION OF PROCESS AND OBSTRUCTION OF
JUSTICE Cases.

CATERBONE v. PA Dept. of Human Services Page No. 81 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

457. IV) Finally a REORGANIZATION AND DISCLOSURE PLAN was filed on February 7, 2017
for Chapter 11 Reorganization Plan 17-6015. Unfortunately, the case is again tied up in
APPEALS Courts awaiting resolution in the U.S. District Court for the Eastern District of
Pennsylvania Case No. 17-01233, with Judge Edward G. Smith presiding.

THE INTERNET, COMPUTER, FILES, AND ELECTRONIC DEVICES

I) The following capabilities have been seriously degraded or destroyed completely:

458. INTERNET CONNECTION AT 1250 FREMONT STREET DESTROYED (ATT HOTSPOT


SIGNAL JAMMED) FORCED TO USE THE LANCASTER COUNTY LIBRARY WHICH COSTS TIME
AND PARKING FEES, NOT TO MENTION THE HARASSMENT AND HACKING PROGRAM THAT
EXISTS AT THAT FACILITY, SEE CATERBONE v. Duke Street Business Center, et.al., Case No.
CI-08-13373 Which Is an OPEN Case.
459. LOST ACCESS TO FEDERAL ELECTRONIC FILING PACER ACCOUNT (FORCED TO
TRAVEL TO FEDERAL COURTHOUSES IN PHILADELPHIA AND READING FOR COURT DOCKETS
AND TO FILE MOTIONS, EXHIBITS, APPEALS, ETC.,
460. LOST ACCESS TO EBAY, AMAZON, ETC., - CAN NO LONGER PURCHASE ITEMS AT
DISCOUNT COST IS IN THE THOUSANDS ALONE
461. LOST ACCESS TO COMCAST CABLE FRAUDULENT BILLING PRACTICES
462. LOST ACCESS TO PAID SOFTWARE ADOBE PDF PROFESIONAL; WORD, EXCEL (FORCED
TO USE GENERI FREE THIRD PARTY DUPLICATES)
463. SPORADIC ABILITY TO PRODUCE DVD'S COMPUTER HACKERS
464. INABILITY TO UPLOAD CRITIC DOCUMENTS TO SCRIBD.COM ACCOUNT FOR PUBLIC
VIEW
465. PRINTING CAPABILITIES WERE TAKEN AWAY IN OCTOBER OF 2016 WHEN THE
$500.00 COSTCO XEROX COPIER/SCANNER/FAX WAS VANDALIZED FORCING TRIPS TO
STATE STREET COPY IN HARRISBURG FOR $.06 PER PAGE.
466. IN FEBRUARY A CANNON B/W PRINTER WAS PURCHASED HOWEVER THE SCANNER
CAPABILITIES WAS DISABLED UPON PURCHASE FORCING THE USE THE LANCASTER
COUNTY LIBRARY WHICH COSTS TIME AND PARKING FEES, NOT TO MENTION THE
HARASSMENT AND HACKING PROGRAM THAT EXISTS AT THAT FACILITY, SEE CATERBONE v.
Duke Street Business Center, et.al., Case No. CI-08-13373 Which Is an OPEN Case
467. ALL WIRELESS HEADPHONE CAPABILITIES WERE LOST IN FEBRUARY OF 2017.
468. NO LESS THAN 5 SMARTWATCHES PURCHASED AT KOHLS HAD TO BE RETURNED DUE
TO COMPUTER HACKING SOMEONE DID NOT WANT THAT ELECTRONIC DEVICE USED.
469. ON MAY 1, 2017 MY MOTOG SMARTPHONE WAS RENDERED USELESS WITH ONLY
CAPABILITIES TO READ EMAILS. ON MAY 1, 2017 I WENT TO COSTCO WHERE I PURCHASED
THE PHONE. COSTCO SAID THE 90 INSTORE WARRANTY EXPIRED IN FEBRUARY AND THEY
GAVE ME A CONSIERE TECHNICAL NUMBER TO CALL FOR A REPLACEMENT. OF COURSE,
WITHOUT PHONE SERVICE, THAT WAS IMPOSSIBLE. ON MAY 3, 2017 I ACTIVATED MY OWN
ATT GOPHONE AT THE ATT STORE FOR $31.00 ON ROHRERSTOWN ROAD AND THE STORE
STAFF GAVE ME A PHONE NUMBER TO CALL MOTOROLA WARRANTY DEPARTMENT FOR A
NEW PHONE. ( I was busy finishing building my bench seat storage locker under the patio
so I did not make the calls right away) SO NOW I HAD 2 OPTIONS FOR A REPLACEMNT, ATT
WARRANTY DEPARTMENT AND COSTCO CONSIERE TECHNICAL DEPARTMENT. THEY TOLD ME
THE PHONE WAS STILL UNDER WARRANTY AND THEY WOULD SEND A REPLACEMENT.
AFTER 2 DAYS WITHOUT PHONE SERVICE I AT LEAST HAD THAT. SO NOW I HAD 2 OPTIONS
FOR A REPLACEMNT, ATT WARRANTY DEPARTMENT AND COSTCO CONSIERE TECHNICAL
DEPARTMENT.IN THE EARLY MORNING OF MAY 4, 2017 MY ATT GOPHONE AND MY FLASH
DRIVE FOR LISA MICHELLE LAMBERT WAS STOLEN FROM MY HOME. I NOW AGAIN HAVE NO
PHONE SERVICE TO CALL AND GET MY REPLACEMENT FOR MY MOTO G SMARTPHONE. On
May 9, 2017 at COSTCO the KIOSK MANAGER, WHO ORIGINALLY SOLD ME THE MOTO G
PHONE, WAS ABLE TO GIVE ME THE NUMBER TO MOTOROLA FOR A FREE REPLACEMENT

CATERBONE v. PA Dept. of Human Services Page No. 82 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

UNDER THE WARRANTY. THE ATT STORE ON ROHRERSTOWN ROAD GAVE ME A FABRICATED
NUMBER.
470. ON THE EARLY MORNING OF TUESDAY, MAY 9, THE COMPUTER HACKERS AGAIN
DESTROYED MY 2 GB BACK-UP DRIVE, WHICH CONTAINED THE ONLY COPY OF THE 9 GB
THAT WAS FILED YESTERDAY IN THE U.S. THIRD CIRCUIT COURT OF APPEALS FOR CASE
NO. 17-1904. BEING THAT PRESIDENT TRUMPS SISTER, ...TRUMP BARRY SITS ON THE U.S.
THIRD CIRCUIT AND THE FACT THAT THE CLERKS WOULD NOT PROVIDE ME WITH A
METHOD TO GET A COPY OF THE FLASH DRIVE WHEN I CALLED THEM TODAY, IT COULD
VERY WELL BE A MAJOR FORM OF PUBLIC CORRUPTION.
1.
471. II) SCANNING OF DOCUMENTS CAPABILITIES DESTROYED; FORCED TO USE THE
LANCASTER COUNTY LIBRARY WHICH COSTS TIME AND PARKING FEES, NOT TO MENTION
THE HARASSMENT AND HACKING PROGRAM THAT EXISTS AT THAT FACILITY, SEE
CATERBONE v. Duke Street Business Center, et.al., Case No. CI-08-13373 Which Is an
OPEN Case.

472. ANTENNA TV RECEPTION DEGRADED TO ONLY A FEW STATIONS DOWN FROM 11,
NO MORE WGAL-TV 8, NO MORE NEWS BROADCASTS

473. SMARTPHONE NO MORE BOOKMARKED PDF CAPABILITIES, COMPUTER HACKED


24/7 WHILE SEARCHING DOCUMENTS, PHONE CALLS, CANNOT ANSWER ANY PHONE CALLS
GOES DIRECTLY TO MESSAGE

474. DOCUMENTS AND FILES CONSTANTLY ALTERED, MODIFIED, DELETED, AND/OR


STOLEN (On April 17, 2017 approximately 17 Lancaster County Court of Common Pleas
CIVIL CASES WERE DELETED FROM THE COURT MATRIX AND HAD TO BE ENTERED AGAIN
INTO THE DATABASE)

475. FORCED TO ADD ANOTHER LOCKED CLOSET

LITIGATION AND COURT CASES

476. In January Stan J. Caterbone took the LISA MICHELLE LAMBERT HABEUS CORPUS
CASE, No. 14-02559 from the Eastern District of Pennsylvania Federal Court to the United
States Supreme Court in Case No. 16-6822. The United States Supreme Court Justices held
CONFERENCE on Friday January 6, 2017 and reviewed the case and DENIED the Petition to
rehear the case. In February Stan J. Caterbone was GRANTED VISITING PRIVLEDGES BY
SUPERINTENDANT HAYLETT AFTER SUBMITTING A PENNSYLVANIA STATE POLICE
BACKGROUND CHECK. THE VISITING PRIVLEDGES ARE OPEN ENDED.
477. IN ADDITION STAN J. CATERBONE FILED AN AMICUS BRIEF IN THE LANCASTER
COUNTY COURT OF COMMON PLEAS Case No. CI-17-00210 in SAVAGEv. BROWN, et.al.,.
DAVE BROWN IS THE CO-AUTHOR WITH LISA MICHELLE AMBERT OF THE NEWLY
RELEASED BOOK TITLED LOVE, MURDER, AND CORRUPTION NLANCASTER COUNTY MY
STORY. STAN J. CATERBONE HAS BEEN COMMUNICATING WITH DAVE BROWN FOR
ALMOST 10 MONTHS. STAN J. CATERBONE ALSO SENT A REQUEST FOR COMMUTATION TO
PRESIDENT BARRACH OBAMA IN DECEMBER. IN MARCH STAN J. CATERBONE PAID FOR AND
RECIEVED AN APPLICATION FOR PARDON FROM THE PENNSYLVANIA PAROLE BOARD IN
HARRISBURG AND WILL HAND DELIVER TO LISA MICHELLE LAMBERT IN THE NEAR FUTURE
IN FRAMINGHAM, MASSACHUSETTES.

478. In the same month, January of 2017 Federal Judge Yavette Kane in the Middle District of
Pennsylvania in Harrisburg favorably overturned a MAJOR PRELIMINARY INJUNCTION FOR
EMERGENCY RELIEF, Case No. 16-2513, which was dismissed by Federal Judge Martin
Carlson and TRANSFERRED the Case to the Eastern District in Philadelphia on January 31,
2017. Several phone calls were made for the new DOCKET NUMBER to both the Middle and

CATERBONE v. PA Dept. of Human Services Page No. 83 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Eastern District Clerk of Courts without success to obtain the new CASE DOCKET NUMBER.
Finally a trip to Philadelphia to the Eastern District Clerk of Courts, THE CASE WAS FINALLY
DOCKETED AFTER SITTING ON A DESK FOR ALMOST 4 WEEKS. The was DOCKETED AS 17-
0867 AND ASSIGNED TO FEDERAL JUDGE EDWARD SMITH, IN EASTON, PENNSYLVANIA. On
March 28, 2017 Judge Smith ARBITRARILY DISMISSED the case, and on APRIL 12, 2017
JUDGE SMITH DID THE SAME FOR A MOTION OF RECONSIDERATION, WHICH AFTER LEGAL
REVIEW, PROVES AT LEAST GROSS INCOMPETENCE AND MOST LIKEY OBSTRUCTION OF
JUSTICE AND PUBLIC CORRUPTION. TOMMORROW THE CASE WILL BE APPEALED TO THE
UNITED STATES THIRD CIRCUIT COURT OF APPEALS.

479. In 2005 Stan J. Caterbone filed a Chapter 11 Reorganization Bankruptcy Case in the U.S
Bankruptcy Court for Eastern District of Pennsylvania in Reading, Pennsylvania, Case No.
05-23059. The Chapter 11 case was filed exactly one week after filing in U.S. District Court
Case No. 05-2288. The purpose of the Chapter 11 Reorganization Plan was to alert the
creditors from 1987 to date that all accounts would be paid in full from the future
settlements from the claims of CATERBONE v. The Lancaster County Prison, et.al., No. 05-
2288. The initial bankruptcy plan was dismissed in August of 2011 without any resolution
and without any creditors being paid any funds.

480. Stan J. Caterbone is currently the AMICUS for Former ATTORNEY GENERAL OF
PENNSYLVANIA, KATHLEEN KANE in Case No. 3576 EDA 2016 in the Eastern District of the
Superior Court. Briefs are due on June 16, 2017 by the KATHLEEN KANE Legal Team,
headed by Joshua Lock. As AMICUS, the COURT and ALL PARTIES must copy all legal filings
to Stan J. Caterbone.

481. In the LANCASTER COUNTY COURT OF COMMON PLEAS there are 4 Civil Cases
DESIGNATED AS OPEN on the Court Dockets,

482. CI-16-08472 in CATERBONE v. LANCASTER GENERAL HOSPITAL, et.al., an


INJUNCTION FOR PAIN MEDICATIONS;
483. CI-16-05815 in CATERBONE v. THE LANCASTER CITY POLICE, an INJUCTION for
OBSTRUCTION OF JUSTICE now in the PENNSYLVANIA SUPERIOR COURT with ORAL
ARGUEMENTS SCHEDULE FOR THE SUMMER OF 2017;
484. CI- 15-10167 in CATERBONE v. HOTEL BRUNSWICK, et.al., A Case for ANTI-TRUST
VIOLATIONS for the FILM AND ENTERTAINMENT INDUSTRY; and

485. CI-08-13373 in CATERBONE v. The Duke Street Library, et.al., a case involving the
early existence of COMPUTER HACKING, HARASSMENT, ETC.,

486. VII) SUMMARY APPEALS were filed in the LANCASTER COUNTY CLERK OF COURTS for
FABRICATED CRIMINAL TRAFFIC VIOLATIONS and FRUADULENT INSURANCE CLAIMS IN
2016 AND 2017. The most CORRUPT CASE WAS Case No. CP-36-SA-0000219-2016 NOTICE
OF APPEAL TO SUPERIOR COURT OF PENNSYLVANIA October 28, 2016 when the following
occurred:

487. The Appeal was never DOCKETED BY THE CLERK OF COURT


488. THE $75.00 PNC BANK MONEY ORDER WAS EXTORTED
489. The FABRICATED CRIMINAL VIOLATIONS REMAIN ON THE RECORD
490. THIS CASE IS A CLASSIC VIOLATION OF DUE PROCESS, PUBLIC CORRUPTION,
EXTORTION, FALSE ARREST, AND PROVES THAT THE LANCASTER COUNTY DISTRICT
ATTORNEY OPERATES AS A CRIMINAL ENTERPRISE

PHYSICAL PAIN, TORTURE, AND CRIPPLING

I) The following is from Case No. CI-16-08472 in CATERBONE v. LANCASTER GENERAL HOSPITAL,

CATERBONE v. PA Dept. of Human Services Page No. 84 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

et.al., an INJUNCTION FOR PAIN MEDICATIONS filed in September of 2016;


491. THE FACT THAT A SUPPLY OF PAIN MEDICATIONS AND THE HOT TUB FOR SPA
THERAPY COULD RESOLVE MOST OF THE ABOVE IS A LANDMARK TORTURE CASE.

492. IV) One week ago upon waking up the PROGRESSIVE PRESCRIPTION GLASSES WERE
STOLEN resulting in Stan J. Caterbone wearing 2 different RETAIL READING GLASSES.

493. V) ON APRIL 24, 2017 THE LANCASTER YMCA HAD AN OPEN HOUSE FOR ALL UMPC
MEDICARE BENEFICIARIES. I ATTENDED AND UNDER MY CURRENT PLAN A FREE YEAR
LONG MEMBERSHIP WAS ISSUED SO THAT I COULD FINALLY GET A REGULAR WHIRLPOON
SPA TREATMENT. I TRIED TO USE THE LANCASTER YMCA WHIRLPOOL SPA ABOUT ONE
YEAR AGO WITHOUT SUCCESS. I STARTED TREATMENTS IMMEDIATELY ON APRIL 24, 2017
AND HAVE GONE EVERYDAY, SOMETIMES THREE TIMES PER DAY. HOWEVER IT WAS NOT
WITHOUT A COST THE STALKING AND HARASSMENT MADE IT ALMOST INNEFFECTIVE. ON
THE EVENING OF MAY 3, 2017 THE STAFF AT THE LANCASTER YMCA GOT DESPERATE AND
PUT A CLOSED FOR MAINTENANCE SIGN ON THE WHIRLPOOL SO NOW I AM NOT ABLE TO
GET ANYMORE TREATMENTS. ON MAY 3 2017 I STARTED ANOTHER INSURANCE CLAIM TO
UMPC FOR ANOTHER WHIRLPOOL SPA FOR MY HOME, IDENTICAL TO THE CLAIM MADE TO
HUMANA ON JUNE 20, 2016; WHICH WAS ALSO THE BASIS FOR THE PRELIMINARY
INJUNCTION FOR EMERGENCY RELIEF FILED IN SEPTEMBER OF 2016. UNFORTUNATELY,
JUDGE DAVID ASHWORTH, THE LANCASTER COUNTY COURT OF COMMON PLEAS JUDGE
ASSIGNED TO THE CASE REFUSES TO ADJUDICATE EVEN THE IN FORMA PAUPERIS
APPLICATION. IN NOVEMBER OF 2016 I FILED A MOTION FOR SUMMARY JUDGEMENT,
STILL NO RULING IN THE CASE.

494. VI) THE LANCASTER CENTER CITY YMCA HAS BEEN A MIRACLE FOR MY PAIN. I AM
TAKING 2 TO 3 WHIRLPOOLS PER DAY HOWEVER IT IS NOT WITHOUT A COST IT HAS
BECOME A CLUB OF SEVERE COMMUNITY STALKING AND HARASSMENT. ON FRIDAY MAY 5,
2017 I WAS AMBUSHED BY THE LOCAL ATTORNEYS WITH CONVERSATIONS ALWAYS
BAITING ME TO TALK ABOUT MY FEDERAL WHISTLEBLOWING ACTIVITIES, US SPONSORED
MIND COTROL AND MY RESUME. RESUME LIKE IT IS NOT FACTUAL. MOST PERPS OF
ORGANIZED STALKING HATE THE TRUTH, WHICH IS ONE REASON THEY DO WHAT THEY DO.

495. V)OVER THE PAST SEVERAL DAYS I HAVE HAD THE FOLLOWING STOLEN FROM MY
HOME OR CAR:
496. $31.00 - GO PHONE WITH $31.00 ON THE ACCOUNT SINCE MY MOTO G PHONE WAS
RENDERED USELESS I PURCHASED A PREPAID ACCOUNT FOR MY GO PHONE, SO THE PERPS
STOLE THAT LEAVING ME WITHOUT PHONE SERVICE FOR 4 OR 5 DAYS. I NEEDED THE GO
PHONE TO CALL MOTOROLA FOR MY WARRANTY REPLACEMENT.
497. $10.99 - LISA MICHELLE LAMBERTS FLASH DRIVE WITH 9 GB OF DATA (RETURNED,
WHICH IS A TACTIC USED SEVERAL TIMES)
498. $19.00 - ONE GRAB STICK USED TO PICK THINGS UP AND FOR DRESSING
499. $6.99 - COMBINATION LOCK FOR MY LOCKER AT THE LANCASTER CENTER CITY YMCA
500. $300.00 - MAY 8, 2017 TO MAY 9, 2017: APPLE 60GB IPOD
501. $20.00 - SOCIAL SECURITY MASTERCARD DEBIT CARD- SECOND TIME IT WAS
ASSOCIATED WITH HOUSE OF PAST ON MILLERSVILLE PIKE AT THE MANOR SHOPPING
CENTER
502. $19.99 - SPORT EARPODS WITH MIC
503. $6.99 - PAINTING SCREEN
504. $39.99 - MAY 9, 2017 TO MAY 11, 2017 256Gigabyte Flash Drive
505. $6.99 - New Unopened Laundry Detergent
506. $3.99 - Star Drill bit for installing new DECK in backyard
507. $19.99 TOMMY COPPER BACK BRACE
508. $39.00 - MAY 21, 2017 RECIPRICATING SAW BLADES
509. $9.98 MAY 8, 2017 LOCKED OUT OF FRONT HANDLE REPLACEMENT

CATERBONE v. PA Dept. of Human Services Page No. 85 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

510. $3.98 MAY 19, 2017 DRIVER BITS FROM DRIVER IN SANTA FE
511. 5.99 MAY 15, 2017 BURNED OUT FLOOD LIGHT
512. $20.00 MAY 2017 BURNED OUT BUG LIGHTS BACK AND FRONT
513. 100.00 MAY 2017 SPOILED FOOD
514. $9.98 MAY 21, 2017 (2) LATCHES TO NEW SCREENDOOR FOR BACK
515. $30.00 MAY 23, 2017 BROKEN DVD PLAYER REPLACED AT WALMART
516. $30.00 MAY 24, 2017 2ND GO TO PHONE BROKEN REPLACED AT BEST BUY ON MAY
24, 2017
517. $200.00 MAY 25, 2017 MY DAD'S DARK BLUE SUIT STOLEN
518. $50.00TZE GO PHONE
519. $15.00READERS.COM BIFOCAL GLASSES
520. $8.00 OUTDOOR BUG LIGHT
521. $9.00 (2) FLOOD LIGHTS
522. $20.00 COPPER FRYING PAN
523. $20.00 (4) SCREENDOOR LATCHES, AGAIN
524. $200.00 YMCA CAR SCRAPING ($834 ESTIMATE, SETTLE FOR $200 DIY)
525. $200.00 PRINTING DUE TO LOCKED COMPUTER
526. $20.00 COPPER GRILL MATTS
SOCIAL AND PUBLIC ACCESS
527. I) Community Stalking and Organized Libel/Slander Campaign Strategy Issue a few
FABRICATED NO TREPASS NOTICES every year to support false arrests; false imprisonment;
fabricated mental illness history. In addition to isolate by prohibiting entrance to major
entertainment venues with good live music. Prohibit from defending against the lies and
slander in public to a minimum. Also, destroy history of strong Christian values and church
attendance on a weekly basis by keeping away from church. The Millersville University
Graduate Studies No Trespass Notice was accommodated by the denial of entitled benefits
of LETA Job Training Education Course of the Paralegal program at HACC during the same
time period.

528. David Pflumm Properties by David Pflumm Served by State Constable in June of
2005, original not signed by David Pflumm
529. Eden Resort Inn, by Drew Anthon, Owner Sent via 1st Class Mail in 2005.
530. Barley Snyder, LLC Lancaster Office, by Shawn Long, Esq., Attorney representing
Fulton Bank in 2006 Sent via 1st Class Mail
531. Lancaster Newspapers, Inc., by Steve Weaver, Manager in 2006, No Notice,
Corraborated by Jack Buckwalter, Chairman and CEO and George Warner, Atty with Barley
Snyder, LLC, No Formal Notice, allowed to reenter in 2015.
532. Ruby Tuesday, Manor Shopping Center, Lancaster, by Manager and Lancaster City
Police in 2006, No Formal Notice, allowed to reenter in 2015.
533. Alley Kat Restaurant and Bar, Lancaster by Bartender Ms. Santinello, Brett Stabley,
and Lancaster City Police, No formal Notice in 2006
534. Village Nightclub, Lancaster by George in 2008, No Formal Notice
535. Marion Court Restaurant, Lancaster, by Security Personnel, corroborated by Michael
Geesey, in 2008, No Formal Notice, allowed to enter in 2015.
536. Valentinos Cafe, Lancaster, by Jeanine, Bartender,in 2008, corroborated by John
Valentino, Owner, No Formal Notice
537. Brunswick Hotel, Lancaster, by Staff Employees, in 2008, No Formal Notice
538. Lancaster County Library and Duke Street Business Center, by Executive Director in
March of 2009, by 1st Class Mail
539. Anne Bailey's Restaurant and Bar, Lancaster, by Manager in 2009, No Formal Notice
540. Millersville University Graduate Studies and Millersville University, Millersville, by Lori
Austin, Judicial Affairs, via Certified Mail in June of 2009.
541. TGIF Friday's, Lancaster, by Manager, in January of 2010, No Formal Notice
542. Lucky Dog Restaurant and Bar, Lancaster, by Robert Donnelly, in January of 2010, No

CATERBONE v. PA Dept. of Human Services Page No. 86 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

Formal Notice
543. Saint Mary's Catholic Church, Lancaster, by Don Spica, Usher and Lancaster City Police
Department in Feb of 2010, No Formal Notice
544. O'Halloran's Bar, Lancaster, March 25, 2010 by Male Staff Employee. No Formal
Notice.
545. Fulton Bank, Fulton Financial Corporation, March 26, 2010 by Susan Follmer, Security
Officer.
546. Lancaster General Hospital, Gary S. Gehman, MD, May 25, 2010, for recording Dr.
Brian Sullivan of Abbeyville Family Health re U.S. Sponsored Mind Control and posting on my
Wordpress Blog.
547. Tobias Frog Restaurant and Bar, August 8, 2015 by Owner of Establishment, reason
was for complaining of harassment and stalking.
548. Millersville University, July 9, 2015, served notice by Millersville University Police
Chief Pete Anders, for negotiating a civil rights complaint with Assistant to the President,
Debra Hoeckler
549. Village Nightclub, July of 20015, by George..........., Owner, tried to enter several
times, with no reason and no written notice.
550. Lucky Dog Bar, August of 2015, met Abby and Keagan Pflumm outside, went inside
and was told by bartender to leave and not come back.
551. Barley Snyder, LLC Lancaster Office, receptionist Ms. Woods refused to let me
communicate with Attorney George Werner, who in 2011 entered appearance in 05-2288 for
Fulton Bank in U.S. District Court.
552. Wennerstrom Property Management Company, June 2015, went to complain
regarding harassment, threats, etc., at 1252 Fremont Street and told to leave building.
553. Pennsylvania Liquor Control Board, Northwest Office Building, November 23, 2015,
Harrisburg, PA, Delivered COMPLAINT re Bars and Restaurants in Lancaster engaged in
Discrimination, Stalking, Harassment, Assaults, etc., Would not allow access to Legal
Counsel, and female who took complaint would not provide ID.
554. Southeast Medical Facilities and Brightside Church Office, February 2016, Would not
issue pain medication and filed a Private Criminal Complaint with the Lancaster County
District Attorney, no opinion as of yet.
555. Pennsylvania Attorney General's Office in Strawberry Square, Harrisburg, PA I
arbitrarily received a phone call while delivering a CD-ROM to PA Attorney General Kathleen
Kane re CORRUPTION OF JUDICIAL, LAW ENFORCEMENT, AND POLITICIANS of
Pennsylvania.
556. U.S. Federal Facilities per the National Security Agency Interrogation of March 9, 2016
at the NSA Headquarters in Ft. Meade, Maryland. Handcuffed and Interrogated for over an
hour and finally let go and told not to continue on to Washington, D.C. And said I was no
longer permitted to visit any U.S. Federal Facilities.
557. Lancaster Newspapers In June of 2016 I arbitrarily received an email the day I was
supposed to participate in a town meeting at LNP and warned me that I was banned and
had been for years although in the year before I had meetings with editors regarding my
MOVANT standing in the Lisa Michelle Lambert case.
558. TELLUS360, May of 2016, I went to enter on a weekend night and the doorman told
me I could not enter that night without any explanation or reason.
559. Yorgos Restaurant and Bar, The owner, Mrs. Arbitrarily barred me during the month
of March, right before the false imprisonment at the NSA in Ft. Meade, Maryland
560. Annie Baily's Irish Pub, A bartender arbitrarily barred me in July, then they allowed
me in then again a so called Manager banned me again. I recorded the last incident.
561. Altana Club, Bar, and Meeting Space On Thursday, July 14, 2016 Scott, the
bartender arbitrarily banned me, which again I recorded.
562. The Press Room Bar and Restaurant A bartender arbitrarily barred me, then again
on Thursday July 14, 2016 another bartender banned me, which again I recorded.
563. THE VILLAGE NIGHTCLUB Another ASSUALT AND HARASSMENT ON SATURDAY, MAY
6, 2017. ON FRIDAY, MAY 5, 2017 2 LANCASTER CITY POLICE PATROLMEN, DE TORRES,

CATERBONE v. PA Dept. of Human Services Page No. 87 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

(THE SHOOTER AND EXECUTIONER OF THE 2013 INCIDENT KILLING THE HOMELESS
PERSON BESIDE YORGEY'S) AND WEITEKER (ON OF THE ORIGINAL POLICE WHO I HAD A
MEETING WITH RE COMPUTER HACKING IN 2015) WERE WALKING OUT AS I WAS WALKING
IN AT THE OPENING. I TALKED TO THEM AND THEY LEFT. THAT NIGHT I WAS AT THE BAR
NEAR THE RESTROOMS AND WENT TO WALK AWAY AND COULD NOT. I GOT HIT WITH AN
ELECTROMAGNET WEAPON SO SEVER THAT IT TOOK OUT MY HIPS. I STRUGGLED TO WALK
AND LEFT. THE NEXT NIGHT I WENT AND THE HARASSMENT WAS AS USUAL. I TOLD
GEORGE ABOUT WHAT HAPPENED THE NIGHT BEFORE AND SAID THE LANCASTER CITY
POLICE COULD HAVE PUT A HAND HELD DEVICE IN THERE SOMEWHERE AND HE KEPT
DENYING THAT ANYTHING LIKE THAT EXISTS. AFTER BEING HARASSED ON SATURDAY
NIGHT, I LEFT AND PUSHED THE BAR ON THE EXIT DOOR HARD GEORGE WAS WAITING
OUTSIDE AND GOT INTO A YELLING AND SCREAMING MATCH WITH ME. I KEPT ASKING
HIM WHY HE LETS PATRONS HARASS ME. HE TOLD ME NOT TO COME BACK.
564. HOUSE OF PASTA, MILLERSVILLE PIKE, LANCSTER, JUNE 2, 2017 BY RANDY,
BARTENDER AND MANAGER

All of the above use the tactics of threats and harassment in order to invoke and provoke a
response worthy of arrest or involuntary psychiatric commitment. When the strategy fails they
resort in illegal verbal no trespass notices by low level employees. In the summer of 2015 a
Lancaster City Police Officer, while parked at the Sunoco convenience store on the corner of West
Orange and Prince Street informed me that the establishments were required to provide written
notice, or they could not be enforced.

565. II) Downtown Lancaster Establishment's that have been endorsing and engaging in
WHOLESALE STALKING, HARASSMENT, AND COLLUSION TO PHYSICAL THREATS OF
VIOLENCE ON A REGULAR BASIS, 2005 to present:
566. Yorgos Restaurant and Bar
567. Mariott Bar at Penn Square
568. Annie Baily's Irish Pub
569. TELLIUS 360 Irish Pub, Nightclub, and now computer lab
570. Altana Club, Bar, and Meeting Space
571. Cigar Bar
572. O'Hallorans Bar and Restaurant
573. Lancaster Dispensing Company
574. The Press Room Bar and Restaurant
575. The Federal Taphouse
576. Lancaster City Police Department Headquarters
577. Again 1252 FREMONT STREET and SURROUNDING BLOCKS are used as PREMIER
STALKING/HARASSMENT CLUBS. Leaving and Entering the HOME AT 1250 FREMONT
STREET IS IMPOSSIBLE WITHOUT STALKERS DOING THE SAME.

578. June 10, 2016 Statement re Pitt Bull Attack at 1252 Fremont Street
The spics (slang for entitled Spanish assholes) at 1252 Fremont Street were all outside in the
back yard when I started to work. My laborer, Norm showed up and then they all of a sudden
disappeared. I had to go into the backyard of 1252 to undo the temporary fence I erected
yesterday. I open the gate, close it behind me and the BLACK PITBULL and YORKIE come running
out of the house attacking me. The spics set it all up by leaving when they knew full well that I
would be coming into the yard to work on the fence. THAT IS THE SECOND TIME HE BIT ME, THE
FIRST TIME THEY LET HIM OUT AND HE CAME IN MY YARD AND SNAPPED AT ME JUST MISSING MY
FINGER!

579. ONE DAY WHEN I WAS WORKING THE spics PUT A BROWN PITTBULL IN THE YARD SO
I COULD NOT WORK!

580. Yesterday, the bitch offered to move an old freezer so I could work on the fence. I

CATERBONE v. PA Dept. of Human Services Page No. 88 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

said "no, that is alright, I can get it myself". That is the first time I talked to the bitch since
she chased me in my front lawn last fall because I blew the leaves and some floated into her
pile of leaves on her front lawn. THE BITCH DOES NOT OWN 1252 FREMONT STREET, AND
AFTER I SET THE POSTS AND INSTALLED THE FIRST SECTION OF FENCE, ME AND THE
OWNER, DAVE SHRECK, DISCUSSED MY PROJECT AND HE GAVE ME HIS PERMISSION TO
ERECT AND INSTALL THE FENCE. THAT WAS PROBABLY 4 WEEKS AGO!
ARE THE DOGS LICENSED? AND WHOS' ARE THEY? LIKE MOST PEOPLE IN THAT HOUSE
YOU DON'T KNOW WHO LIVES THERE AND WHO DOES NOT!

581. When I left for the Hospital at about 3:00pm on June 10, 2016 The Bitch yelled
uncontrollable at me from on of her windows as I went to my car, which was parked in the
back of my yard. She kept yelling I am not ever going to be allowed in her yard. The theme
has been ever since I started my project to thwart my attempts at progress every step of
the way.

582. The breaking point came on Thursday when I declared the screened in porch would be
done by Monday, June 13, 2016. Too much privacy for me for all my neighbors to envision
me having. To this day and time, 6:00pm on Saturday, June 11, 2016 I have not gone out in
my back yard since the attack. I had my laborer Norm, bring in all the tools right after the
attack.

583. IV) After 2 years of replanting the FRONT YARD IVY BED and THE IVY BED BEING IN
THE BEST CONDITION SINCE THE ORIGINAL PLANTING IN 1970'S SOMEONE DELIBERATELY
WITH MALICE DESTROYED THE IVY BED WITH MAJOR AREAS OF DEAD SPOTS. SEVERAL
FLATS OF IVY WERE PURCHASED AT STAUFFERS ON RHORESTOWN ROAD.

584. V) FOR THE PAST SEVERAL MONTHS I CAN NO LONGER ENJOY THE OUTSIDE OF MY
HOME, FRONT OR BACK, DUE TO THE THREATS AND HARASSMENT OF 1252 FREMONT
STREET. I CAN'T EVEN SIT ON MY BACK OR FRONT PORCHES TO SMOKE A CIGARETTE OR
HAVE A CUP OF COFFEE. MOST DAYS I HAVE TO TRY TO STATEGICALLY PLAN WHEN TO
TAKE OUT THE TRASH, MOW THE GRASS, WATER MY PLANTS AND GRASS, ETC. FOR THE
PAST MONTH OR SO I HAVE TO SNEAK IN AND OUT OF MY OWN HOME.

585. VI) ON WEDNESDAY EVENING THE FEMALE LIVING ACROSS THE STREET ON
FREMONT STREET WAS AT THE HOUSE OF PASTA ON MILLERSVILLE PIKE WHILE HER CAR
WAS PARKED IN FRONT OF MY HOME AT 1250 FREMONT STREET. UPON COMING HOME
AFTER 2 DRINKS I WAS AGAIN LOCKED OUT AND FORCED TO PARK IN THE BACK. THE
PERPS KEEP LOCKING MY FRONT SCREEN DOOR SO THAT I HAVE TO PARK IN THE BACK.

586. VI) THE COMPUTER HACKING IS NOW ON MY NEW ATT GO PHONE.

DATE: AUGUST 14, 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
717-327-1566

CATERBONE v. PA Dept. of Human Services Page No. 89 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

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 CASESACTIVE 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; 03-16-900046 re ALL FEDERAL LITIGATION TO
DATE
U.S. Supreme Court Case No. 16-6822 PETITION FOR WRIT OF CERTIORARI re Case No. 16-1149 MOVANT for Lisa
Michelle Lambert
U.S.C.A. Third Circuit Court of Appeals Case No. 16-3284; Case No. 16-1149 MOVANT for Lisa Michelle Lambert;15-
3400 MOVANT for Lisa Michelle Lambert;; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 17-01233 Chapter 11 Appeal for 17-10615; Case No. 17-0867
Preliminary Injunction from Middle District; Case No. 16-4014 CATERBONE v. United States, et.al.; Case No. 16-cv-
49; 15-03984; 14-02559 MOVANT for Lisa Michelle Lambert; 05-2288; 06-4650, 08-02982;
U.S. District Court Middle District of PA Case No. 16- 2513 INJUNCTION; Case No. 16-cv-1751 PETITION FOR
HABEUS CORPUS
Commonwealth of Pennsylvania Judicial Conduct Board Case No. 2016-462 Complaint against Lancaster County
Court of Common Pleas Judge Leonard Brown III
Pennsylvania Supreme Court Case No. 353 MT 2016; 354 MT 2016; 108 MM 2016 Amicus for Kathleen Kane
Superior Court of Pennsylvania 3575 EDA 2016 Amicus for Kathleen Kane; 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
Lancaster County Court of Common Pleas Case No. 16-05815 Injunction; Case No. 16-08472 INJUNCTION re Pain
Meds; Case No. 15-10167 Film Commission; Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 17-10615; Case No. 16-10157

CATERBONE v. PA Dept. of Human Services Page No. 90 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

DOCUMENT DIVIDER

CATERBONE v. PA Dept. of Human Services Page No. 91 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE ID
- ANO.
LANDMARK
360234927
HUMAN
STAN J.
RIGHTS
CATERBONE
AND ANTI-TRUST
SNAP BENEFITS
CASE

Stan J. Caterbone
ADVANCED MEDIA GROUP
Freedom From Covert Harassment &

Surveillance,
Registered in Pennsylvania
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
stancaterbone@gmail.com
717-327-1566
AUGUST 8, 2017

MS. ASENCIO
LACASTER CAO
832 MANOR STREET
LANCASTER, PA 17604
(717) 666-0054

re: ID NO. 360234927 STAN J. CATERBONE SNAP BENEFITS

DEAR Ms. Asencio:

A few weeks ago you gave me a telephone interview, why it was not face-to-face
still concerns me, and you stated you would send me a letter regarding the $16.00
in monthly benefits that you stated I would receive.

I never received the letter, and last Thursday, August 3, 2017 I delivered my
Social Security Disability Statement containing the monthly amount of my medical
premiums, as you requested.

Yesterday, I had called because I have not heard from you, in writing or via
telephone. The female that answered sounded like she was no more than 18 years
old, much younger than you, of course. I received your message and I am
requesting that you put in writing the status of my claim.

Also, enclosed is some information and data for my case.

If you have any questions, please communicate in writing.

Respectfully,

_______________________
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
717-327-1566

LETTER TO MS.
CATERBONE v. PA
ASENCIO
Dept. of Human Services Page
PageNo.
No.921of
of 121
2 Monday
Tuesday,
August
August14,
8, 2017
STAN J. CATERBONE, PRO SE ID
- ANO.
LANDMARK
360234927
HUMAN
STAN J.
RIGHTS
CATERBONE
AND ANTI-TRUST
SNAP BENEFITS
CASE

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 CASESACTIVE 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; 03-16-900046 re
ALL FEDERAL LITIGATION TO DATE
U.S. Supreme Court Case No. 16-6822 PETITION FOR WRIT OF CERTIORARI re Case No. 16-1149
MOVANT for Lisa Michelle Lambert
U.S.C.A. Third Circuit Court of Appeals Case No. 16-3284; Case No. 16-1149 MOVANT for Lisa Michelle
Lambert;15-3400 MOVANT for Lisa Michelle Lambert;; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 17-01233 Chapter 11 Appeal for 17-10615; Case No.
17-0867 Preliminary Injunction from Middle District; Case No. 16-4014 CATERBONE v. United States,
et.al.; Case No. 16-cv-49; 15-03984; 14-02559 MOVANT for Lisa Michelle Lambert; 05-2288; 06-4650,
08-02982;
U.S. District Court Middle District of PA Case No. 16- 2513 INJUNCTION; Case No. 16-cv-1751
PETITION FOR HABEUS CORPUS
Commonwealth of Pennsylvania Judicial Conduct Board Case No. 2016-462 Complaint against
Lancaster County Court of Common Pleas Judge Leonard Brown III
Pennsylvania Supreme Court Case No. 353 MT 2016; 354 MT 2016; 108 MM 2016 Amicus for Kathleen
Kane
Superior Court of Pennsylvania 3575 EDA 2016 Amicus for Kathleen Kane; 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
Lancaster County Court of Common Pleas Case No. 16-05815 Injunction; Case No. 16-08472
INJUNCTION re Pain Meds; Case No. 15-10167 Film Commission; Case No. 08-13373; 15-10167; 06-
03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 17-10615; Case No. 16-10157

LETTER TO MS.
CATERBONE v. PA
ASENCIO
Dept. of Human Services Page
PageNo.
No.932of
of 121
2 Monday
Tuesday,
August
August14,
8, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

DOCUMENT DIVIDER

CATERBONE v. PA Dept. of Human Services Page No. 94 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

SNAP BENEFITS APPLICATION Page No. 1 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 95 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

SNAP BENEFITS APPLICATION Page No. 2 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 96 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

SNAP BENEFITS APPLICATION Page No. 3 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 97 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

SNAP BENEFITS APPLICATION Page No. 4 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 98 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

SNAP BENEFITS APPLICATION Page No. 5 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 99 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

/S/ JULY 18, 2017

SNAP BENEFITS APPLICATION Page No. 6 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 100 of 121 Monday August 14, 2017
STAN J. CATERBONE,
ID NO. PRO
360234927
SE - A STAN
LANDMARK
J. CATERBONE
HUMAN RIGHTS
SNAP BENEFITS
AND ANTI-TRUST
APPLICATION
CASE

/S/ JULY 18, 2017

SNAP BENEFITS APPLICATION Page No. 7 of 99 Tuesday July 18, 2017


CATERBONE v. PA Dept. of Human Services Page No. 101 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

DOCUMENT DIVIDER

CATERBONE v. PA Dept. of Human Services Page No. 102 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
why do you feel it is our responsibility to support you. I bust my ass working and
have a family to raise. I will help you if you help yourself. Why dont you go out and
get a job until the people who you claim owe you money pay you. Why do you think
you are entitled to have us pay your bills and take care of your financial
responsibilities. I have a mortgage and pay my utility bills as does steve, and phil.
You are living rent free and its time you pay your own bills.
Mike Caterbone
March 30, 2008

March 31, 2008

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

Mike Caterbone
122 Swan Avenue
Plantation, FL 33324

Re: Email from Mike Caterbone of March 31, 2008


PP&L and UGI Utility Payments

Mike,

I dont feel it is your responsibility to financially support me, although I do feel it is your responsibility and
your obligation to support the truth and not to be my adversary. I will outline why it is your responsibility
and obligation to pay attention to what I say, and not to listen to the intentional and malicious rumors
about my activities and what I have been doing for the past 3 years. If you, Mom, Steve, and Phil
had listened to me, instead of taking an adversarial role and always fighting me on everything, we all
would have more money. Instead, you all have money, while everyone continues to steal and extort
money and property from me.

1. Let me give you an example. If you would have worked with me, rather than against me, you
could have bought my house for the mortgage owed ($89,000) plus interest and fees. This could
have been before the Sheriff Sale in December of 2006, which would have been around $115,000.
Then, we could have sold it and I could have paid you somewhere around $10,000. I would have
been able to put in the bank somewhere around $70,000. Remember, on March 13, 2007, just 33
days after I settled for the $156,000 that was paid at the Sheriff Sale, the house was transferred
for $195,000.

All you and Steve did was write me while I was in prison asking me to give you permission to move
all of my belongings from 220 Stone Hill Road to 1250 Fremont Street.

Instead, I only received a check for $17,306.00, by the way which is still in escrow until all the
litigation is legally adjudicated in the courts. When the Courts reverse the Sheriff Sale, I will most
likely have to repay that money, unless I am awarded damages by that time.

2. Of course, I did not mention that the Sheriff Sale was illegal, the Superior Court committed
obstruction of justice, and everyone that was on that property before February 1, 2007 were
legally trespassing, and I was the only person with the legal authority to be on that property. That
is how they stole all of my possessions and legal files.

3. Let me give you another example. In January I told both you and Steve to apply for Energy
Assistance or LIHEAP (Heat Assistance) to pay for the PP&L and UGI bills. I also applied. Mom and
me both received LIHEAP benefits in the past. My last year in Conestoga, I receive $600 toward
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.103
1 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
my PP&L bills, the year before I received $300 for part of the year. When I applied in January, the
caseworker at the Lancaster County Assistance Office that accepted my application promised me
that I would receive benefits. Then 2 weeks ago they send me a letter stating that I am not
eligible because the utilities are not in my name and I an not responsible to pay them. I thought
there might be a problem when I applied, that is why I sent Steve an application and told him to
apply.

4. Now, if you and Steve had listened to me, the PP&L and UGI bills would have been paid by the
Pennsylvania Heat Assistance Fund, which is part of the Department of Public Welfare. I believe it
is federally funded.

In addition, both the January PP&L bill and the UGI bills have been inflated. I formally
complained to both utility companies, but they said Steve or Mom would have to file the complaint.

Do you see the trend here? This conduct is textbook extortion, plain and simple. And it has been
going on for twenty years.

Now, let's talk about what I have been doing for the past 3 years, since January of 2005.

5. If you will notice in the Document named "Appeal Exhibits with Employment Applications" and turn
to page 41 to 73 you will find many JOB APPLICATIONS that I have submitted to various
companies to get some work to bring in some income. I have applied to everyone from Turkey Hill
and McDonalds to the City of Lancaster, the County of Lancaster, Smith Barney, Regal Cinema's,
Red Rose Transit Authority and Kunzlers, to name a few of the applications. Most all of them were
submitted in person in 2007. I also sent many resumes out to try to get some consulting work. So
don't tell me that I don't try to help myself. I was never granted ONE SINGLE INTERVIEW.

6. I also tried to sell all of my unused furniture and appliances on Craigs List in 2007. All I got were
a bunch of people coming to look at it to harass me, and one person sending me a fraudulent
cashiers check that caused a problem for my Ameritrade Account.

7. Pro Se Billings. If you review the document titled "Pro Se Sales Journal" you will find my billings
for all of my COURT cases up to August of 2007. I need to include everything from then until now
when I have time. You will find all of my hours listed under "Qty" for each case. The total amount
of billings from 2005 up until August of 2007 is $284,327.50, and the approximate number of
hours that I have spent litigating my cases is approximately 2,843 hours up until August of 2007.
Now that comes out to approximately 54 40-hour workweeks. All of the entries for billable hours
can be traced to the actual entries listed on the court docket sheets for every case. That does not
include Advanced Media Group work, Project Hope, or the Movie Theater at Hotel Brunswick, or all
the work TRYING TO UNDO THE DAMAGE BY HACKERS, AND LOOKING FOR FILES THEY DELETED.
It also does not include my research work into mental telepathy and trying to find out who
remotely trained me. I currently spend approximately 50 to 60 hours a week working.

8. You must also take note that while acting as my own attorney, pro se, I have had 20 criminal
charges dismissed against the Lancaster County District Attorney and the Commonwealth of
Pennsylvania, in the last year or so. To date I have had 27 criminal charges dismissed or
overturned on appeal. Everyone that I ask tells me that this has never happened before. And they
are all false arrests, which are now eligible for monetary damages and redress in the court of law.
I still have some 4 or 5 appeals to conclude in the appellate courts, then I should have all of my
criminal charges dismissed. The only remaining false charges to clear are a few blatent lies about
driving carelessly, the Fleeing, which should have never been charged, and two disorderly conducts
and harassment charges, all of which are just blatant lies by corrupt police. The record speaks for
itself, the Commonwealth of Pennsylvania and the Lancaster County District Attorneys Office has
no credibility in the court of law when it comes to any criminal proceedings v. Stanley J. Caterbone.
I have even documents many cases of the courts changing documents and lying on the record.
However, that is another matter.

9. My Pro Se Billings do not include hours and time for all of the public meetings that I attend for the
Lancaster Convention Authority or the weekly Lancaster County Commissioners meetings. It also
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.104
2 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
does not include walking or riding my bike to and from the Lancaster Courthouse or the Lancaster
County Library, or filing complaints against people stealing and or damaging my property and
gasoline or harassing me. Or all of the time spent trying to document and file complaints for the
fraudulent COURT ORDERS from the LYING JUDGES AND COURT CLERKS. All of this is well
documented. Oh, it also does not include the time spent because all of my computers are hacked
and now I have to use a 9 year old laptop, without a mouse. I cannot even back up a file to thumb
drive without taking an old plastic 1.4 megabyte floppy drive to the Lancaster County Library and
copying the files to my thumb or flash drive.

I ALSO BUST MY ASS.

10, Do you know that in March of 2007 I had to walk 3/4 of the way home from the office of Noble Real
Estate in Akron (a RRTA Bus Driver purposely drove by without picking me up), after I had a
meeting to try to find out where all of my possessions and files that were stolen from my house at
220 Stone Hill Road were at? They would not tell me a thing, by the way, about who had my
possessions or where they were stored. There was no sign or any indication that Parula existed
except on paper.

11. Now, Lets talk about my (Advanced Media Group) Downtown Lancaster Action Plan. I have had
real meetings with so many public officials regarding these projects, which all have supported.
They include Mayor Charlie Smithgall; Mayor Rick Gray; Randy Patterson, Executive Director of the
Lancaster City Economic Development Office; Mike Sturla, Democratic Senior State Legislature;
The Jame s Street Improvement District; Jim Burke, Chief Zoning Officer of the City of Lancaster;
and Mark Easterbrook, Administrator of the County of Lancaster. I also have a signed and
executed Non-Disclosure agreement with Jeff Lefever and his group of investors to consider my
business plan for Excelsior Place. They are currently the owners and are in the midst of developing
the property.

12. I am currently weeks away (depending on computer hacking) from delivering my business and
development plan for the Downtown Theater at Hotel Brunswick. I have the Executive Director of
the Lancaster Film Commission, Jay Ingram, considering a partnership with me on this project. My
early projections show that I should be cash flow positive from day one. There is no one that does
not think this is a viable and needed project for Downtown Lancaster. I have amassed research
over the past year and a half or so for this project. My interest and research for movie theaters
goes back to 1987 when I became friends with an elderly man who was the projectionist for the
Stone Harbor Movie Theater and used to let me visit with him in the projection booth for many
discussions regarding my Digital Movie with Tony Bongiovi and Power Station Studios. I also spent
time with Ron Gorganno, who ran the old Manor Cinemas back when they first opened in the late
1980s or early 1990s.

13. You must also take note that the people that owe me money fall into two categories. The
one category are the defendants that I have filed civil complaints against in the court of law. When
I speak of people owing me money, I am not talking about that group of people. I am talking
about people that I have performed services for and was never paid; and companies that are under
contractual obligations such as Harleysville Insurance Company. Remember, it took me eighteen
(18) months to collect all of the money that I was owed for painting and renovating Moms house
here at 1250 Fremont Street. And I still had to file a claim in court to get that bill paid. The same
thing is happening with Sam Lombardo and Ralph Mazzacchi. I performed services and billed them
$2,000 and they only paid me $300 of it. I am now in court trying to collect the rest. Harleysville
Insurance Company owes me a remaining balance on my last claim of about $6,000 and they still
owe me for a previous claim of about $7,000 that was never paid at all. This is for property that
was damaged or flat out stolen that I no longer have. Dale High and High Industries still owes me
for a past due invoice that was never paid by American Helix. That outstanding invoice for services
performed now amounts to some $15,000, including interest. I met with Dale High in May of 2005
and discussed this with him personally; he did not dispute the invoice. Drew Anthon and the Eden
Resort defaulted on my civil complaint, so the courts have to provide me with a judgment. That
claim is another $26,000, and includes medical bills. The Fulton Bank invoice of some $67,000 is
an invoice for the equity that they have extorted from the illegal sale of my property at 220 Stone
Hill Road, in Conestoga. After settlement in February of 2007, Fulton Bank sent me my 1099 Form
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.105
3 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
for the sale of the property and they even listed the Fair Market Value to the Internal Revenue
Service (IRS) as $250,000. The $250 that the Lancaster County Treasurer owes me is from the
last refund check for criminal charges that were dismissed that I paid fines on. They sent me a
refund check in November of 2007 for some $600, however, they still owe me another $250.00.

14. This does not include the $750.00 that was stolen by the Police during the apprehension and
fraudulent 302 Commitment to Lancaster General Hospital on April 5, 2006.

15. This also does not include the gasoline that has been stolen from my pickup truck over the last 3 or
4 months. This has to be about $150.00. That does not seam like much, but when you factor in
all the time walking to gas stations to get gas, documenting and copying receipts every time I get
gas, and all of the complaints and meeting trying to have the Lancaster City Police take incident
reports for the stolen gas. It adds up to a lot of time, money, inconvenience, and an awful lot of
pain and suffering considering I can only put 2 gallons of gasoline in my pickup truck at one time.
Do you know how many times that have stolen my gasoline? Probably in excess of 30 times. And
I believe that Billy (Lefty) Plank and his band of crack heads have done it on occasion.

16. Now, let's talk about the State Farm Insurance Claim for my laptop, DVD recorder and other items
that were destroyed here at 1250 Fremont Street. I believe that claim is for about $1,200. Now, I
filed the claim with the home office of State Farm Insurance in New York. They sent the forms to
fill out to Steve and Mom in Miami. What did Steve do? Refuse to send me the letter and the
forms. He just flat out refused to mail me the forms. I called him in November or December of
last year (2007) and argued with him to send me the forms. I believe it was the last time I had
talked to him. Now that makes no sense. Then in late December, right after Christmas, he sends
me this letter telling me that I will have to pay for the PP&L electric bill and the UGI gas bill
starting in January.

17. I had forgot to mention that I had already won a cash settlement last September in my lawsuit
against Copy Max, one of the largest office supply retailers in the country, as a pro se litigant in the
Lancaster County Court of Common Pleas. They used an attorney from Philadelphia. The law firm
has about 60 attorneys, so it was not won against some attorney from Lancaster.

18. Now, let's talk about the house and expenses. When Mom first went to Florida to recuperate from
here Heart Stint in December of 2004, everyone thought she was coming back. Then when I
visited Mom in Florida in January of 2005 we discussed the need to paint and renovate the house
incase we had to sell it or rent it. She agreed whole-heartedly. After I was finished I argued with
everyone about getting someone to rent out 1250 Fremont Street, including Ron Roda. Everyone
argued with me. No one wanted to hear it. My calculations find that I have doubled the
investment that Mom paid me to renovate and paint the house. The realtor that wanted to sell the
house in 2005 only had an offer of $89,000. The house is now worth at least $105,000. That is
what the houses sold for on this block in the past year. I have also continued to make
improvements since then. I put an oriental step runner on the steps, finished most of the floors,
painted the fence, repainted the bathroom, and repainted some of the living room. In addition, I
will do some painting on the exterior this spring. I also would like to paint the back patio awning, if
you provide the paint. I keep this house maintained and in excellent condition. If I was not here,
the only additional expenses you, Mom, Phil and Steve have are the UGI Gas utility, the PP&L
electric utility and the water and sewer; considering you did not want to rent the house out. Now if
you take into consideration the equity and the increased value in the house, it is not costing
anyone anything.

19. Now, lets talk about the money that I owe Mom. First of all the $25,000 was extorted in 1987. I
did not spend that money. That will be paid back when the courts or my defendants settle. The
remaining $14,000 loan in 1998 was also not my fault. I had a signed agreement with Dave
Pflumm that the 1994 Ford Explorer lease was to be paid by Pflumm Contractors. I made certain,
and had Dave sign a document, that in the event that my employment was terminated or I
resigned, the lease would still be paid, along with my health insurance. The 1994 Ford Explorer
deal was done within the month that I was made to leave by harassment and emotional assaults. I
was no fool and protected myself from having that lease be a financial burden, since things were so
bad. Remember, my Isuzu was paid for and I had no loans on it. He reneged on both of those
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.106
4 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
agreements. I had been paying Mom a monthly payment for that loan until 2002. So again, that
money was technically and legally extorted. And, I should remind you that in 1999 I tried to
convince you to move Moms money from equities to a fixed income account in her Sun Life
Annuity Contract. I had told Lucie Aument the same thing, along with others that used to come
over at Moms for breakfast. The market went south, and Mom lost some $50,000 of value in her
account, which she never recovered. I have this well documented with my notes and print outs of
her account.

Now Mike, in conclusion, you stated in your email I will help you if you help yourself, I have
absolutely proven that I have and keep helping myself in every way possible.

I expect someone better pay the UGI bill before it is shut-off on April 7th, that is next Monday,
while I have a few meetings to try to get LIHEAP to pay the PP&L bill.

I will also accept all of your other help in which you refer to in you email.

God Bless.

Stan J. Caterbone
Advanced Media Group
www.amgglobalentertainmentgroup.com

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.107
5 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

Re: Letter to Steve re PP&L and UGI & LIHEAP Denial


From: mtciidd@aol.com
Sent:Mon 3/31/08 7:57 AM
To: amgroup01@msn.com

stan why do you feel it is our responsiblity to support you. I bust my ass working and have a family to
raise. I will help you if you help yourself. Why dont you go out and get a job until the people who you
claim woe you money pay you. Why do you think you are entitled to have us pay your bills and take care
of your financial responsiblities. I have a mortgage and pay my utility bills as does steve, and phil. You
are living rent free and its time you pay your own bills.

-----Original Message-----
From: Stan Caterbone <amgroup01@msn.com>
To: Caterbone, Mike <mtciidd@aol.com>; Mediation Center, Lancaster <info@lancmed.org>; FBI, Field
Office <philadelphia@fbi.gov>
Sent: Sat, 29 Mar 2008 6:56 pm
Subject: FW: Letter to Steve re PP&L and UGI & LIHEAP Denial

From: amgroup01@msn.com
To: mtciidd@aol.com; caterbone@sbcglobal.net
Subject: RE: Letter to Steve re PP&L and UGI & LIHEAP Denial
Date: Mon, 17 Mar 2008 07:25:36 -0400

Mike, here is a copy of a letter I just sent to Steve regarding the PP&L and UGI and my application for
Energy Assistance.

You and Steve need to also take care of the reporting/investigating the overcharges on both PP&L and UGI
bills. They would not let me since they are not in my name. January PP&L was $181.00 when the temp
was warmer, and Feb and March were only $110-$116. The bill is phony. The UGI bill also has an
overcharge on it.

March 17, 2008


Mr. Steven P. Caterbone
8812 N.W. 179 Lane
Hialeah, FL 33018
Re: LiHeap Energy Assistance & Payment of PP&L and UGI

Dear Steve:
Enclosed is the denial letter I received a few days ago from LiHeap Energy Assistance for the PP&L and
UGI bills. They refused me because they determined I am not responsible for the payment of the
utilities. You and Mom will have to apply. You will get the $600.00 applied to PP&L bill if you just apply
like I told you to. I do not have any money to pay these bills. If people would start paying me, I could
help out. Sam Lombardo and Ralp Mazzocchi still owe me $2,000 for work I did last year.

Harleysville Insurance Company still owes me some $15,000 for the rest of the stolen and damaged
property from 220 Stone Hill Road. I do without cable TV and rarely have enough for any airtime on my
cell phone. I am still in courts fighting for food stamps.

Between You & Bernadeth, Mike & Maria, and Phil your combined incomes are in excess of $500,000 per
year, and I still have people stealing from me, including my income and property, and you want me to pay
the utilities. It makes no sense. I keep doing improvements here and maintain the property in exc ellent
condition, so I make my contributions. I just painted the fence late in the fall, and if Mike gets me the
paint, want to paint the back awning. I should think about some of the exterior trim this Spring, however,
I dont have a ladder. I also painted the bathroom again.

You and Mom can apply online. I used to apply for this for Mom in the past.

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.108
6 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
Tell Mom I tried to call her on her birthday, and left you a message. Maybe this Spring I can make it
down to see her, since it does not look like she will get here. I do have a $100 Southwest Voucher to use
anytime I want. Well see how my court schedule is.

Respectfully,

Stan J. Caterbone, Pro Se


Advanced Media Group

Enclosures

"Well, there's an even greater right, and that's the right of life, liberty and to live crime-free."
Craig Stedman, Lancaster County District Attorney
January 3, 2008
Lancaster Intelligencer Journal
Advanced Media Group
Stan J. Caterbone
www.amgglobalentertainmentgroup.com
Visit Our Blog For Journey of a Whistleblower
Visit Our Blog For Research Into ESP - Mental Telepathy & The U.S. Governments Activities
Visit Our Video Biography

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. Number 7.

To: amgroup01@msn.com
Subject: Re: Is Mom Doing OK? Please Let Me Know How She Is!
Date: Sun, 16 Mar 2008 08:10:47 -0400
From: mtciidd@aol.com

Moms doing fine. Everything is good. They were just up to visit yesterday.

MIke

-----Original Message-----
From: Stan Caterbone <amgroup01@msn.com>
To: Caterbone, Mike <mtciidd@aol.com>; Caterbone, Maria <maria.caterbone@kingpharm.com>; Crews,
Phyllis <phyllis.crews@richardson.k12.tx.us>; Phil <caterbone@sbcglobal.net >
Cc: staff@lancmed.org
Sent: Sun, 16 Mar 2008 6:15 am
Subject: FW: Is Mom Doing OK? Please Let Me Know How She Is!

I called her on her birthday and left a message for Steve to call me, but he never did return the call. Now
I don't have any minutes left on my cell phone, it ran out a month or so ago.

Are you guys keeping something from me?

From: amgroup01@msn.com
To: mtciidd@aol.com
Subject: Is Mom Doing OK? Please Let Me Know!
Date: Sat, 15 Mar 2008 03:02:38 -0400

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.109
7 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

"Well, there's an even greater right, and that's the right of life, liberty and to live crime-free."
Craig Stedman, Lancaster County District Attorney
January 3, 2008
Lancaster Intelligencer Journal
Advanced Media Group
Stan J. Caterbone
www.amgglobalentertainmentgroup.com
Visit Our Blog For Journey of a Whistleblower
Visit Our Blog For Research Into ESP - Mental Telepathy & The U.S. Governments Activities
Visit Our Video Biography

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. Number 7.

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services Page
PageNo.
No.110
8 ofof101
121 Monday
Sunday August 14,
13, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

RcaJr to Jf'ork

.,/

This card ceJtifies that SfAN J. CATERBONE bas completed the


National Career Readiness Test with the following scores:

Applied Mathematics: 5
Locating Information: 4
Reading for Information: 6

.~.

This Client has also complete hfe skills training in the follow~g
areas
Anger Management Goal Setting
Appropriate Behavior in the Interviewing
Workplace Money Management
Positive Attitude and Motivation
Attendance
Avoiding Destructive Behavior Resume Writing
Budgeting Sexual Harassment
Business Etiquette Transportation
Work Values and Career Interest
. Communication Skills
. Conducting a Job Search
.- "-.,;.
,'.:'

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PageNo.
No.111
9 ofof101
Page 1 of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN RIGHTS AND ANTI-TRUST CASE

STAN J. CATERBONE, PRO SE - A LANDMARK ANTI-TRUST AND HUMAN RIGHTS CASE

This certificate is awarded to

J. CA

For completion ofcore ining in the Ready to Work p rogram

_ir~:'+~ ~
-.. .u .,f
.l ,:" "...,..~... .' .q
'

.
1 .

..
,'.
I ," " .'

er County Workforce Investment Board


rr

Silver Certificate

LANCASTER JOB APPLICATIONS 2006-2009


Advanced Media Group - Job Applications 2005 to 2009
PagePage
No.210 of 101
of 85
Sunday August 13, 2017
05/26/2009

CATERBONE v. PA Dept. of Human Services Page No. 112 of 121 Monday August 14, 2017
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

GRADUATES

Scott Albright Nicole Fritchlee


Tania Alequine Daniel Fultz
Jasmine Alvarado James Funk
Milton Anderson Edward Garcia
Maicka Aquino-Kusecki Ashley Garner
Jose Ascencio Rebecca Gatchell
Norma Basora Amanda Gibbs
Scott Beinlich Stephanie Giberson
Jasen Berger Max Gilbert
Keith Bietz Johanna Gonzalez
Rodger Bohanan Donna Good
Kathleen Booth Joseph Goodhart Jr
Stacy Boyer Harold Gregory
Robert Boynes Marlon Grooms
Otis Brown Ganja Gurung
Tyrone Brown Pabsy Hake
Zack Burke Christine Hall
Jorge Cajas Scott Hall
Stan Caterbone Shenitta Harris
Mary Chapman Wanda Hart
Tabetha Chester Andy Hartley
Ahmeen Oanton Grace Henderson
Katrina Collins David Herber
Frank Colon Eric Hill
Rousana Colon Sharon Hoffmeier
Vicki Cozzone Michael Horein
Jeff Craig Sr. Sandra Horst
Christina Creek Donald Hostetter
Roxanne Day Thomas Huller
Raymond Deibler Mike Ice
Yanelys Denis Robert Jackson
Randy Derr Richard Jenner
Hosea Deshields Juan Jimenez-Mejia
Chanel Dickerson DannyJones
Kevin Ebersole Natalie Jones
Joshua Edwards Steven Kadsand
Shawana Edwards Mrika Kallaba
Clare Evans Barry Keiser
Gabriella Felpel John Klevis
Anthony Fiorentino James Koski
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.3113
11 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

Dear Applicant,
We would like to acknowledge receipt of your application/resume,
expressing your interest to work for the City of Lancaster. We
typically get applications from many qualified candidates. Our
procedure is to interview the most highly qualified candidates. If
we decide to interview you, we will contact you. If you do not hear
from us, it means that other candidates have been interviewed.

No phone calls, please.

Thank you,

~-eih~
Employment Coordinator
City of Lancaster

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.4114
12 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
_ City of Lancaster
120 N. Duke Street Lancaster, PA 17608
Application for Employment

NOTE to Applicants:
If you have completed a City Application for Employment within the last six (6) months

and submitted it to the Bureau of Human Resources, you do not need to complete another one.

However, you MUST complete an Applicant Qualifications Sheet for each position for which

you are applying. Applications or Applicant Qualifications Sheets

that are incomplete will not be considered.

1. What kind of employment are you seeking? 0 Full-time wPart-time 0 Temporary 0 Seasonal
2. What is your current rate of pay? $ r- t:> - per hour $____ f) - annually
3. What pay are you seeking? $ /.3. " .., per hour _ _ _ _ _ _ annually
~

4. May we contact you at your current job? ~es 0 No


5. Are you over 18 years of age? ~es No
6. Do you have a current, valid Pennsylvania driver's license? l!2rYes 0 No
7. Are you able to read, write and comprehend English without assistance? ~Yes 0 No
8. Are you a veteran of the military? 0 Yes ~o
9. Are you legally eligible to work in this country? 0'Yes No
10. Have you ever submitted an application to the City before? ~s No If so, when?
11. Have you ever been employed by the City before? 0 Yes B"'No If so, when?_ _ _ _ _ _ _ _ _ __
12. Do you have any relatives currently employed by the city? 0 Yes ~No If so, who?_ _ _ _ _ _ _ __
13. Are you able to perfor~e essential functions of the job(s} for which you are applying with or without reasonable
accommodation? 0" Yes 0 No 0 I need more information about the essential functions.
14. Have you ever been convicted of a crime? e::j"Yes 0 No If you answered "yes", please explain the crime
and the circumstances:

b.s.ol-4t=1t.L.f CCNv'4~ c..r j 1Jrl..t."f1t4#~r j fiE-E/~~' b e.":h~u. !. ~~Y.' "


VQ:' /iU:: So4:A/t:::fr.;('" "]V .I-/n~.ff7a:u {,JJ in-l pJlrl-r /A.I AjJ/~
- CovLT%,:U ~t"~/A-.
15. On the following page, you will be giving information about your employment history. If you have not been
continuously employed, please give the reason(s}: _ _ _ _ _ _ _ _ _ _ _~_ _ _ _ _ _ _ __

Page 1of 4
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.5115
13 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
City of Lancaster ,
120 N. Duke Street Lancaster, PA 17608
Application for Employment
Please complete this section even if you are attaching a resume.

1. Employer: ....!:.'l!?~~~~~~~~:r:~~~__ Location: ~ef ~


2. Dates of employment: From: ___________ i1fe:C~r
3. Name & telephone number of your supervisor: _'!S=-e-r----="t:=--________________~-
4. May we contact this supervisor for a reference? ~es No
5. Job Title(s): j:>p,t::;;'f'*O~/()I:V~
a S~~~cl~D~-:~-~~----------------~---~~---~-
7. Why did you leave? tlt:.lu,t:::JFVr UV (Jj ~ "U~U::;Ivr ~T ltC.le~
8. What was your final pay? $ /'1/(A per hour $ annually

1~-EmpIOy~;~-----p-A:;;;;;;-;v, ~r~7;:;e----L~-:a~;;;;/H~~~.;;;:;;;;::-7lA--------
2. Datesofemployment: From: 1'1'7'-1 To: I?';-S
3. Name & telephone number of your supervisor: m~. IJAvi4 /kt..>"",.;:..1 .-----
4. May we contact this supervisor for a reference? (g-"'yes 0 No
5. (loA.1T1Zot:./....e:>t=
6.

7. Why did you leave? - - - - - - - - - - - - - - - - - - - - - - - : : I t # - - - - , - - -


8. What was your final pay? $ per hour $ oz,tJ annuallf ~ ~ ~74.J~
1-.---EmpIOy~~r~,:,.;..--~ 1?t4*?arJ..~_:ation: 17.r:r(iii;~ /l~-~~
2. Datesofemployment: From: t'i~ To: 1'188 7

3. Name & telephone number of your supervisor: --"~=..::._ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __


4. May we contact this supervisor for a reference? 0 Yes 0 No
5. Job Title(s): ~A.4JbL; b~ ;::s~. f$4AUt;1.t?O/~d
6. Summa~ofJobDuties: J,b:ttI~ 'br~1i~/4'r... ~IJ/I~ t::;'fe..
7. Why did you leave? _ _ _ _ _ _ _ _ ~_ _ _ _ _ _ _ _ _ .___:_------ ._ _ _ __
8. What was your final pay? ~ _____ per hour $ /~ t::JV"IJ
#
r annually

Page 2. of 4
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.6116
14 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE
City of Lancaster
120 N. Duke Street Lancaster, PA 17608
ication for Em"''''''''''''''':>'-''''

1. Did you complete High School? ~es No OR Did you complete a GI.4. 0 Yes 0 No
2. What High School (name of school, city, state): ~-'f.t Jb( ~I,..;c, . s,'H Sc~L-
3. What education have you completed beyond High SchooIlGED?:
Associate Degree in _-'--_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _----;_
(Name of school, city, state): _ _ _ _ _ _--:::-----,,-_ _ _ _--;;-_ _ _.----_ _ _ _ __
m.chelor's Degree in: /),v't/t;:nL.SI;-Y';C
,
/j{IC.,l,..oa.cV/~7" #~6;,ltlv~.~
(Name of school, city, state): _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __
Master's Degree in: _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __
(Name of school, city, state): _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __
DCertification/Licensure in: _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __
(Name of school, city, state): _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __

1. Please list professional associations to which you currently belong and any offices you hold:

Association: Office: _ _ _ _ _ _ _ _ _ _ _ __

Association: _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ Office: _ _ _ _ _ _ _ _ _ _ _ __
2. Please list your current volunteer "1oJ'<: I J
Organization: Mtrer ~ /IIF' Activity: j//G.1Vntc #.-"",.,.t ~~J
Organization: Activity: _ _ _ _ _ _ _ _ _ _ _ __

Please give names of individuals (at least two of them should be supervisors) with whom you have worked and who
know your work habits and characteristics. Please do not list personal friends or family members.

1. Name: "'1>-+v~'4 Pi4-v,..,,,,,,.,, Job Title: ()~ A/bTI!


Company/Employer: ~.tI1"'" (JlJ;f"ir7I~.e..J .::.-7-1-7---r-7-2---7-~-d---:,..---
Phone Nu-m!::..b-er-:

2. Name: /114. j;,~ /:f,v~~ Job Title: /JJt/I,,~


Company/Employer: 4& ""S frUt, j Phone Number: _ _-'--_ _ _ _ _ _ _ __

3. Name: II1tl. K'Az,/,f ~~(U?J:II: Job Title: ~A.,,)12-


__"I:4'_T?---'";f-V'----=,!!,_~-----Phone Number: _ _ _ _ _ _ _ _ _ _ __
Company/Employer: . ._G,
1fc::r~~r7~

Page 30f4
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.7117
15 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

City of Lancaster

120 N. Duke Street Lancaster, PA 17608

nli/-~~i'nnforEmnlr."n'Qr~T

I certify that all the information given on this Application for Employment is true, complete and correct. I under-stand
that if I have provided any information that is false or misleading, I will no longer be considered for employ-ment with
the City of Lancaster or, if already employed, I may be discharged from employment.
I understand that if employed by the City of Lancaster, I must and will abide by aU policies, procedures, rules and
regulations required by the City. I will make it my responsibility to know the rules and policies of the City.
I authorize the City of Lancaster to obtain all information about me necessary for me to be offered employment and to
be authorized to work for the City of Lancaster. I hereby give permission to the City to perform a Criminal Background
Check and pre-employment physical which includes a drug screen. I understand that if I am hired, I will be required to
provide additional information about myself, including proof of my identity and legal authorization to work in the United
States by completing an 1-9 form.
I understand that any offer of employment is contingent upon my successful completion of the pre-employment
process.
I know that I may resign at any time and that I am required to give notice to the City and that, if I do not complete the
pre-employment process successfully, any offer of employment may be withdrawn. I understand that this Application
and any offer of employment I may receive do not constitute a contract between the City and me.

Page 4 of 4
LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.8118
16 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

City of Lancaster

120 N. Duke Street Lancaster, PA 17608

Applicant Qualifications Sheet

Please complete this sheet for each position for which you are applying.

Have you completed an Application for Employment? 0 Yes 0 No

{You must complete an Application for Employment before this sheet will be reviewed.}

1. Name: dlc=1"1i!i!t.eoucS' STit &J


Last , First

2. Do you live within the City limits of Lancaster? ~es 0 No 0 ~ don't know

3. For what position are you applying? 'Sc..ticOl,... Ctc" IN" 6-u~11
4. Does the position require computer skills? 0 Yes ~No If Yes, describe your computer skills:

Ht. In.,, A'b"~


5. Do YCfJ speak S.eanish or another languag~lbesides English? ffies 0 No If Yes, describe your bilingual skills:
_HAl' ::>/1bJi.s.l-l S .- tt" ... 'Se..tbOl- - "'oT -Slb~ "'NUS'
6. Does the position require certain licensure? ia"Yes 0 No If Yes, list your licenses:
(!.oA.il.6",v\ p,.
t::> cu ,,~ t..J c..eT'Ml e
7. Briefly state your qualifications for this position, comparing your background to the required qualifications for the
job. You can find the qualifications for the job either on the City's website or in the Bureau of Human Resources in
City Hall.

.~LlV'&"'L..t! cJa.s.lT7
--~~--~~------------
b/...l VeU U CEAJJEf"

\>(o~t-!U A;6lc...c.'1 '\b /L:t441 OJ tl.lfrr


-S Pt::A"fC.. ~ &Mtt~ EAJG.U.( I:t

~ 00 b Ce.u ""('l)MboL. Se:tIJ)1Uri -s:t.Us. ~fJCt:.J;:;'t klu- I'D


Q./t:1..o Att j) ~d
B"",i(...\ ~hJc.~ ~~
-
~{l.t)"'~I (....h.\ ~ In{;-bcJe:L "'30
)IoJvf:rtTUL> ~.o ~ ~
'-l b 11 t...J ~C.("i......, <;,. ~"tU,~

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.9119
17 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

City of Lancaster

Bureau of Human Resources

Criminal Background Check Authorization

This form is for the use of the Bureau of Human Resources only. It will remain in the offices of Human
Resources and will not be forwarded to the hiring supervisor with your application.

PLEASE PRINT

Applicant Name: _ _ $=--r:_~.....:-,,--_.J~.__~_---,-_L_~_4_4..J(fi""


_ _ _ _ _ _ _ _ _ _ __

Address: , 2-s:l> Fl g Itt.o",; +- <;..,.

Driver's License#:: ~l=~_~/....:...'i_~__7_~_Z-


____ State:._ _ e_A_ ________
Social Security #: ~O{)... c./t, - (/ 'i r'l
-=-~-~-~--~-----
Date of Birth: 0 11/ ~I, t( S'"s

I hereby give my consent to the City of Lancaster, its officials, agents and representative, to conduct a
background check as a condition of employment. The background check shall be to secure job-related
information, and may include, but is not limited to criminal background and driver'S record.

I hereby release from liability the City of Lancaster, its officials, agents and representatives for seeking
such information and all other persons, corporations or organizations for furnishing such information.

Date

HR Use only

Criminal background check:


Date requested: _ _ _ _ _ _ _ __
By: _____________
Date received: ____________

Results:

May 2008

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.10
120
18 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009
STAN J. CATERBONE, PRO SE - A LANDMARK HUMAN
ANTI-TRUST
RIGHTS
ANDAND
HUMAN
ANTI-TRUST
RIGHTS CASE

City of Lancaster

Bureau of Human Resources

Employment Program

The City of Lancaster is gathering information on the composition of the pool of applicants who
are applying for jobs.

We are asking that you complete this form to help us gain this information. Your completion of
this form is strictly voluntary. This form will remain in Human Resources and will not be sent to
the hiring manager with your resume/application.

Gender:

D Female

Race/Ethnicity:

D Hispanic/Latino Persons of Mexican, Puerto Rican, Cuban, Central or South


American or other Spanish culture of origin, regardless of race.

Not of Hispanic origin; persons having origins in any of the


original peoples of Europe, North Africa or the Middle East.

D Black/African American Not of Hispanic origin; persons having origins in any of the Black
racial groups of Africa.

D Asian Persons having origins in any of the original peoples of the


Far East, Southeast Asia, the Indian subcontinent. This area
includes China, Japan, Korea.

o Native Hawaiian/ Persons having origins in Hawaii or the Pacific Islands.


Pacific Islander

o American Indian/ Persons having origins in any of the original peoples of North
Alaskan Native America and who maintain cultural identification through tribal
affiliation or community recognition.

D Two or more races

LANCASTER JOB
CATERBONE v. PAAPPLICATIONS
Dept. of Human2006-2009
Services
Advanced Media Group - Job Applications 2005 to 2009
Page
PagePage
No.
No.11
121
19 of
of101
of 85
121 Monday
Sunday August 14,
13, 2017
05/26/2009

Anda mungkin juga menyukai