NYCHA ABUSIVE BILLING PRACTICES POSTED AT: http://issuu.com/prayerwarriorsneeded/docs/finale_nycha_mom_notice_to_sue_harassment_abusive_?mode=window&viewMode=singlePage
June 12, 2012 Andrew Cuomo, NYS Governor, Emailed to: http://www.governor.ny.gov/contact/GovernorContactForm.php State of New York, State Capitol Albany, NY 12224 2 Eric Schneider, Attorney General info@andrewcuomo.com, http://www.ag.ny.gov/online_forms/email_ag.jsp NYS Attorney General 120 Broadway New York City, NY 10271 COMPLAINT@FTC.GOV Federal Trade Commission Consumer Response Center Criminal Fraud Division Consumer Protections Federal Trade Commission 600 Pennsylvania Ave., N.W. Washington, D.C. 20580 New York City Housing Authority, http://www.nyc.gov/html/mail/html/mailnycha.html 250 Broadway New York, New York 10007 Phone: 212-306-3000 Bill DeBlasio, NYC Public Advocate, Gethelp@Pubadvocate.Nyc.Gov, jdavila@pubadvocate.nyc.gov 1 Centre Street New York, New York 10007 Rose Gill Hearn NYC Commissioner, http://www.nyc.gov/html/mail/html/maildoi.html 80 Maiden Lane New York, NY 10038 212-825-5900 Tina Stanford, Chairperson cvbinfo@cvb.state.ny.us NYS Crime Victims Board, State of New York Executive Department 1 Columbia Circle Ste 200 Albany, New York 12203
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dschaefer@mfy.org rcordero@mfy.org MFY Legal Services, Inc. 299 Broadway, 4th Floor New York, NY 10007 Phone: 212-417-3700 Fax: 212-417-3891 Pat Bath Director of Communications The Legal Aid Society 199 Water Street New York, NY 10038 212-577-3346 347-245-5132 pbath@legal-aid.org sarah@nedap.org josh@nedap.org alexis@nedap.org joby@nedap.org monica@nedap.org Mr. Perry, Manager Ravenswood Apartments NYCHA 2120 35th Avenue 5E Astoria, New York 11106 Phone: 718 729 5621 Fax: 718 482 0860 RE: NYCHA MANAGEMENT BEING USED TO HARM MY ELDERLY MOTHER, NYCHA MANAGAEMENT OBSTRUCTING CONSUMER PROTECTION STATE AND FEDERAL LAWS, NOTICE OF INTENT TO SUE FOR ELDER ABUSE, ERRONEOUS BILLING PRACTICES, AGGRAVATED ONGOING HARASSMENT AND OTHER VIOLATIONS OF THE FAIR DEBT COLLECTIONS PRACTICES ACT THIRD VALIDATION REQUEST AND NOTICE OF GRIEVANCE TO THE ATTACHED MONTHLY ERRONEOUS RENT STATEMENT AND EXCESSIVE RENTAL INCREASE WHICH IS INCONSISTENT WITH THE CURRENT AND DEFAULT NYCHA FLAT RATE SCHEDULE FOR A ONE BEDROOM APARTMENT. PLEASE SEE. http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf. 2
Dear NYCHA Management and Public Officials: I write this letter on behalf of the safety of my elderly mother who has been maliciously targeted and has endured continuous abuse via NYCHA obstructions of its very own grievance procedures and consumer protections embedded in the state and Federal Fair Debt Collection Practices law. Foremost, this is the third attempt we have made to stop NYCHA erroneous and lawless billing and scheme to defraud and coerce money out of tenants that they do not owe. Consequently, we are being forced to sue NYCHA because these law department led, top down criminally insane organized crimes are being prioritized. NYCHA is operating as a Willie Lynch headquarters enforcing mechanisms to make it appear as if low income people do not pay their rent on time. My mother is a victim to this scheme to defraud and we seek an end to such. Consequently, this is a notice to NYCHA that this entity will be sued if the below malicious, erroneous, and non-validated alleged debt and monthly rental bill is not corrected immediately. In addition, a meeting is sought with the manager’s superiors to discuss NYCHA grievance procedures. We respectfully request a written reason why grievance procedures are not followed. The Ravenswood apartment law department led management is operating as a suck the blood out of the poor entity. The abuse of power, scheme to defraud, harassment and race pitting management needs to be investigated and stopped. This jungle type management must be dismantled and its discriminatory effects on poor people must be investigated. This abusive, money hungry and exploitation of the poor lawless practices are uncivilized, intolerable and exemplifies malicious top down organized crime micromanagement to further oppress vulnerable populations. Three letters and a threat to sue should not be needed to get NYCHA validation of an alleged nonexistent debt that is being maliciously used to stalk and terrorize an elder. Again, the excessive rental increase noted in the attached June 2012 rental bill is disputed in full based on the fact that the additional fee of $334.00 is not owed, has not been validated, and the grievance procedure has been obstructed by the managers malicious disregard. My mother has never missed a rent payment and has never been late in making rental payents. This matter exemplifies a scheme to defraud and create a rental problem that does not lawfully exist. Again, validation of the alleged excessive rental fee debt is sought. Why is the monthly bill requesting for hundreds of dollars beyond the monthly rent? For the record, my elderly mother is an excellent on time rent payer and the below billing fraud is being used to maliciously, abusively and fraudulently terrorize, defame and defraud her. I pay her bills. She does not owe any rent and or any additional fees for unknown purposes. She has never missed a payment and we resent the every month harassment rooted from the erroneous bill. Please stop this abuse. If the bill is not corrected/validated within 10 days of receipt of this letter a law suit will be filed on behalf of this ongoing debt collection abuse and harassment. Please note I sent the 3
attached request for validation of the debt to Mr. Perry, NYCHA Manager February 2012. Please see exhibit 9, page 4. He lawlessly ignored this lawful within 30 day of the alleged debt validation request. NYCHA is billing my mother for something she does not owe and this is being done to criminally tamper with her exemplary rent payment history. Again, she has never missed a payment and has always paid on time. Now NYCHA is continuing to pursue an alleged debt without validation. NYCHA is obstructing the Federal Fair Debt Collections Act and the State Fair Debt Collections Act. Some of the violations include the below and are detailed on the NYCHA exhibits attached. 1. NYCHA violated § 1692 f Any unfair or unconscionable means to collect or attempt to collect the alleged debt 2. NYCHA violated § 1692 f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law 3. NYCHA violated the 30 Day Validation Notice § 1692 g Failure to send the consumer a 30-day validation notice within five days of the initial communication § 1692 g(a)(1) Must state Amount of Debt § 1692 g(a)(2) Must state Name of Creditor to Whom Debt Owed § 1692 g(a)(3) Must state Right to Dispute within 30 Days § 1692 g(a)(4) Must state Right to Have Verification/Judgment Mailed to Consumer § 1692 g(a)(5) Must state Will Provide Name and Address of original Creditor if Different from Current Creditor 4. NYCHA violated § 1692 g(B) Collector must cease collection efforts until debt is validated 5. NYCHA violated § 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person 6. NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt. 7. NYCHA violated 15 U.S.C. §1692e (10) by, the use of any false representation or deceptive means to collect or attempt to collect any debt or to obtain information concerning a consumer. 8. NYCHA violated 15 U.S.C. §1692f (1) by, attempting the collection of any amount (including any interest, fee, charge, or expense incidental to the principal obligation) unless such amount is expressly authorized by the agreement creating the debt or permitted by law.
9. NYCHA violated § 1692 e Any other false, deceptive, or misleading representation or means in connection with the debt collection 10. NYCHA violated § 1692 e(5) Threaten to take any action that cannot legally be taken or that is not intended to be taken 11. NYCHA violated § 1692 e(9) Represent documents as authorized, issued or approved by any court, official, or agency of the United States or state. 4
12: For violation of the FDCPA: Section 813. Civil liability (a) Except as otherwise provided by this section, any debt collector who fails to comply with any provision of this title with respect to any person is liable to such person in an amount equal to the sum of -(1) any actual damage sustained by such person as a result of such failure; (2) (A) in the case of any action by an individual, such additional damages as the court may allow, but not exceeding $1,000; or (B) in the case of a class action, (i) such amount for each named plaintiff as could be recovered under subparagraph (A), and (ii) such amount as the court may allow for all other class members, without regard to a minimum individual recovery, not to exceed the lesser of $500,000 or 1 per centum of the net worth of the debt collector; and (3) in the case of any successful action to enforce the foregoing liability, the costs of the action, together with a reasonable attorney’s fee as determined by the court. On a finding by the court that an action under this section was brought in bad faith and for the purpose of harassment, the court may award to the defendant attorney’s fees reasonable in relation to the work expended and costs.
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EXTRA SIGNATURE PAGE
Please note that under the law, we are entitled to minimum of $1,000 per violation. As you can see above, the minimum amount due is $11,000.00. I am willing to settle this matter for the corrected bill and an end to all current and future harassment, abuse, and schemes to defraud. This is a onetime offer as my mother’s safety is priority and we seek an end to the harassment and the correct bill. In essence we seek respect of poor people’s money and an end to deceptive billing. Please see the attached NYCHA default rent schedules. Please see page 2 on the below link. Pursuant to NYCHA’s default rate the current rent for a one bedroom is $487.00. As such, please see the attached rental receipts for January to June 2012 for $487.00. http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf Please make NYCHA respect the laws of this land and send my mother her correct rent bill with a zero balance. Please make NYCHA refrain from unconscionable contracting. It is illegal. They will be sued. Finally, NYCHA Representatives, please put my daughter Miriam Snyder’s name on the lease as she has the power of attorney. If there are forms that need to be completed for such, please send them to me immediately. Please note we are not requesting any money at this time because retaliation from law suit winning or settlement is deadly in New York State. Should the harassment or retaliation escalate the police and FBI will be involved, as well as others. We will not live in fear. These law department led/micromanagement crimes will and must be stopped. To the authorities involved please make sure my mother’s safety is prioritized. Thank you. Sincerely, Miriam Snyder, MSED Human Rights Expert Mazarine Levy Snyder,Elder
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EXHIBIT 1 http://www.scribd.com/doc/3840410/FDCPA-Edleman-Combs-2
Rent for a residential apartment is a “debt” covered by the FDCPA. Romea v.Heiberger & Associates, 163 F.3d 111 (2d Cir. 1998); Wright v. BOGS Management, Inc., 98 C2788, 2000 WL 1774086, *17 (N.D.Ill., Dec. 1, 2000).
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EXHIBIT 2, 2012 NYCHA RENT FOR A ONE BEDROOM IS $487.00 http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf
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EXHIBIT 3 JUNE 2012 ERRONEOUS RENTAL STATEMENT WITH NON VALIDATED ALLEGED AND HARASSING FEES
JUNE 2012 MONTHLY BILLING HARASSMENT OPENING BALANCE $334.00 FOR WHAT? 1. NYCHA violated § 1692 f Any unfair or unconscionable means to collect or attempt to collect the alleged debt 2. NYCHA violated § 1692 f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law 3. 30 Day Validation Notice: NYCHA violated § 1692 g Failure to send the consumer a 30-day validation notice within five days of the initial communication 4. NYCHA violated § 1692 g(B) Collector must cease collection efforts until debt is validated 5. NYCHA violated § 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person 6. NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt.
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Exhibit 4 ON TIME NEVER LATE REGULAR AND AUTHORIZED $487.00 RENT PAID JUNE, APRIL AND MAY 2012 RECEIPTS 2 PAGES
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Exhibit 5 FEBRUARY 2012 NYCHA MONTHLY BILLING HARASSMENT 1. NYCHA violated § 1692 f Any unfair or unconscionable means to collect or attempt to collect the alleged debt 2. NYCHA violated § 1692 f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law 3. 30 Day Validation Notice: NYCHA violated § 1692 g Failure to send the consumer a 30-day validation notice within five days of the initial communication 4. NYCHA violated § 1692 g(B) Collector must cease collection efforts until debt is validated 5. NYCHA violated § 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person 6. NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt.
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Exhibit 6 MAY 2012 NYCHA MONTHLY BILLING HARASSMENT WITH FEES FOR UNKNOWN PURPOSES 1. NYCHA violated § 1692 f Any unfair or unconscionable means to collect or attempt to collect the alleged debt 2. NYCHA violated § 1692 f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law 3. 30 Day Validation Notice: NYCHA violated § 1692 g Failure to send the consumer a 30-day validation notice within five days of the initial communication 4. NYCHA violated § 1692 g(B) Collector must cease collection efforts until debt is validated 5. NYCHA violated § 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person 6. NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt.
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Exhibit 7 JUNE 2012 NYCHA MONTHLY HARASSMENT WITH FEES FOR UNKNOWN PURPOSES 1. 2. 3.
4. 5.
§ 1692 § 1692 30 Day § 1692 § 1692 § 1692 § 1692 § 1692 § 1692 § 1692 § 1692
f Any unfair or unconscionable means to collect or attempt to collect the alleged debt f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law Validation Notice g Failure to send the consumer a 30-day validation notice within five days of the initial communication g(a)(1) Must state Amount of Debt g(a)(2) Must state Name of Creditor to Whom Debt Owed g(a)(3) Must state Right to Dispute within 30 Days g(a)(4) Must state Right to Have Verification/Judgment Mailed to Consumer g(a)(5) Must state Will Provide Name and Address of original Creditor if Different from Current Creditor g(B) Collector must cease collection efforts until debt is validated d Any conduct the natural consequence of which is to harass, oppress, or abuse any person
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Exhibit 8 (2 Pages) The below exhibit exemplifies the below NYCHA additional violations a) NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt. b) NYCHA violated 15 U.S.C. §1692e (10) by, the use of any false representation or deceptive means to collect or attempt to collect any debt or to obtain information concerning a consumer. c) NYCHA violated 15 U.S.C. §1692f (1) by, attempting the collection of any amount (including any interest, fee, charge, or expense incidental to the principal obligation) unless such amount is expressly authorized by the agreement creating the debt or permitted by law.
d) NYCHA violated § 1692 e Any other false, deceptive, or misleading representation or means in connection with the debt collection e) NYCHA violated § 1692 e(5) Threaten to take any action that cannot legally be taken or that is not intended to be taken f) NYCHA violated § 1692 e(9) Represent documents as authorized, issued or approved by any court, official, or agency of the United States or state.
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MARCH 2, 2012 NYCHA HARASSMENT/RETALIATION AND DISREGARD OF THE ABOVE GRIEVANCE AND VALIDATION REQUEST
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EXHIBIT 9 POSTED AT: http://issuu.com/prayerwarriorsneeded/docs/nycha_mom_letter_to_queens_president s_and_public_a?mode=window&viewMode=singlePage 2125 35TH Avenue #5E Astoria, NY 11106 March 2, 2011 Lisa Atkins, Housing Specialist Queens Borough President 120-55 Queens Boulevard Kew Gardens, NY 11424 1-718-286-3000 | 1-718-286-2656 TTY info@queensbp.org Bill DeBlasio, NYC Public Advocate, Gethelp@Pubadvocate.Nyc.Gov, jdavila@pubadvocate.nyc.gov 1 Centre Street New York, New York 10007 Re: NYCHA Elder Harassment: NYCHA Obstruction of Grievance Process, Disregard of Attached Lawful Grievance and Evidence, Retaliatory Threats in Retaliation to Attached Grievance Dear Public Advocate, Bill DeBlasio, and Ms Atkins: My name is Miriam Snyder. I am the daughter of Mazarine Levy-Snyder. This morning I witnessed NYCHA Ravenswood management harassment of my mother by banging on her door uncontrollably and in a very intimating fashion. My mother is 84 years old and should not be treated this way. Ravensood management members could have called my mother, could have written her, they did not have to try to intimidate her by coming to her home banging on her door and insisting on ignoring her grievance as noted below and in the NYCHA US mail return receipts. 19
In summary, my mother has never been late or missed a rent payment. She has lived in Ravenswood for over 15 years. She has been an excellent tenant. Since about 2007 the rent has unconscionably increased at a disproportionate rate, despite her income not increasing. In 2011, my mother’s rent was increased to the extent she was being forced to public assistance, which as a retiree, she did not want. She wrote an affidavit explaining extenuating circumstances and provided proof of her low income. My mother was making less than 15,000 dollars a year and was being forced to pay the same rent a person making 29,000 dollars a year, was paying under the NYCHA flat rate rent. The increased rent was also stopping her from buying needed medical supplies. She sent an affidavit appealing the unaffordable rent increase. It was never answered. It was disregarded. However, the escalated rent was billed to her. June 2011, her income increased and she was able to pay the increased rent and did so. NYCHA never responded and did not remove the additional escalated rent from when she could not afford it. Consequently, NYCHA created a problem out of thin air. They had put her rent to a point she could not afford and left no grievance process available to address such. She was covertly being forced to Public Assistance, a service she did not need if the rent was regulated. In addition, they created a billing scam. They billed her for money she could not afford without notice, reason, cause, or grievance. When her income increased, she immediately began paying the increased rent because she could afford it. The rent was increased from $371.00 to $424.00. Consequently my mother was billed the difference every month up to June 2011, when her income increased, she began paying the escalated rent. My mother sent another letter seeking to resolve the rent problems. NYCHA ignored her letters and grievances.
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January 2012, another rental increase was unconscionably inflicted. My mother’s rent was not increased pursuant to NYCHA’s own flat rate schedule and guidelines. My mother’s rent was increased erroneously. Please see her below letter and exhibits. Consequently, she filed a grievance consistent with the NYCHA guidelines. Her grievance was retaliated against. She was further harassed as noted above and as noted in NYVHA’s below March 2, 2012 letter threatening her tenancy based on a rent scheme they are administering via disregard of evidence and not responding to tenant grievances. We would like a reason for NYCHA’s refusal to implement their very own grievance policies; We seek a reason for the disregard of all of my mother’s letters and grievances. We seek the removal of past charges she did not agree to, nor could afford. We seek her current rent to be placed at the current rate of NYCHA one bedroom apartments which is $487.00. Please see Exhibit 3, in the attached letter. We seek an end to NYCHA law department led harassment. We seek her next rent balance to be zero with correct billing of the current rent of $487.00. Your professional assistance is greatly needed to stop this harassment. Please note the record because this should not be happening. Thank you.
Sincerely,
Miriam Snyder
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21-25 35th Avenue 5E Astoria, New York 10467 February 9, 2012 Ravenswood Apartments 2120 35th Avenue 5E Astoria, New York 11106 Phone: 718 729 5621 Fax: 718 482 0860 NOTICE OF GRIEVANCE TO THE ATTACHED ERRONEOUS RENT STATEMENT AND INCREASE DATED FEBRUARY 2012; IT IS INCONSISTENT WITH THE CURRENT AND DEFAULT NYCHA FLAT RATE SCHEDULE FOR A ONE BEDROOM APARTMENT. PLEASE SEE. http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf
Dear Mr. Perry: Please see the attached NYCHA default rent schedules. The current rent for a one bedroom is $487.00. As such, please see the attached rental receipt for February 2012 for $487.00. http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf Please refrain from unconscionable contracting. It is illegal. I have attached 3 exhibits to this grievance. Thank you Sincerely,
Mazarine Levy Snyder
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EXHIBIT 1 6. NYCHA violated § 1692 f Any unfair or unconscionable means to collect or attempt to collect the alleged debt 7. NYCHA violated § 1692 f(1) Attempt to collect any amount not authorized by the agreement creating the debt or permitted by law 8. 30 Day Validation Notice: NYCHA violated § 1692 g Failure to send the consumer a 30-day validation notice within five days of the initial communication 9. NYCHA violated § 1692 g(B) Collector must cease collection efforts until debt is validated 10. NYCHA violated § 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person 11. NYCHA violated 15 U.S.C. §1692e (2) by, falsely representing the character, amount, or legal status of any debt.
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Exhibit 2 http://www.nyc.gov/html/nycha/downloads/pdf/Flat_Rent_Schedule_2009_2010.pdf
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Exhibit 3 [PDF]
Randolph Houses RFP Addendum 2 RFP issue date: August 22 ... www.nyc.gov/html/hpd/.../pdf/Randolph-Houses-Addendum2.pdf File Format: PDF/Adobe Acrobat - View as HTML Oct 5, 2011 – A1: Based on rates of return for previous projects where NYCHA tenants had ... that are equal to the lesser of 30% of the tenant's income or NYCHA flat rents which
... Rents for 2012 and 2013 have not yet been calculated are
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Mr. Perry disregard of validation and grievance request letter that was sent within 30 days of the excessive rent increase and alleged debt owed 1. NYCHA Violated ยง 1692 g(B) Collector must cease collection efforts until debt is validated 2. NYCHA Violated ยง 1692 d Any conduct the natural consequence of which is to harass, oppress, or abuse any person
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MARCH 2, 2012 NYCHA RETALIATION AND DISREGARD OF THE ABOVE GRIEVANCE
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REFERENCES UNREGULATED AND DEADLY NYS LAW DEPARTMENT LED HARASSMENT AND OTHER CRIMES ELDER ABUSE JANUARY 2012: THE BELOW PAGES WILL SHOW SEVERAL INCIDENTS OF INFLICTED HARASSMENT AND ELDER ABUSE ON MY ELDERLY MOTHER IN LESS THAN ONE MONTH http://endorganizedcrime.files.wordpress.com/2012/02/final-complte-mom-comprehensiveinflicted-harassment-2012.pdf NOVEMBER 2011 NOTARIZED CRIMINAL REPORT WRONGFUL DEATH AND HOSPITAL KILLING OF MYRA SNYDER SCOTT http://issuu.com/prayerwarriorsneeded/docs/ns_notarized_wrongful_death_and_killing_of_myra_fi? mode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/ns-notarized-wrongful-death-and-killingof-myra-final-november-28.pdf
DECEMBER 2011 NASSAU COUNTY POLICE CHIEF KRUMPTER CERTIFIED LETTER REQUEST FOR POLICE REPORT NUMBERS http://issuu.com/prayerwarriorsneeded/docs/nassau_county_police_chief_krumpter_certified_lett?m ode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/nassau-county-police-chief-krumptercertified-letter-request-for-police-report-numbers.pdf
December 2011: Nassau County Internal Affairs, Officers Obstruct Criminal Report Filing Procedures: Myra Snyder Scott Felonious/Suspicious Death
http://issuu.com/prayerwarriorsneeded/docs/ns_nassau_county_internal_affairs_officers_obstruc?mode=windo w&viewMode=singlePage
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APRIL 2011 CRIMINAL REPORT APPEALING FOR AN END TO 10 YEARS OF DOCUMENTED AND UNREGULATED ATTEMPTED MURDER PROGRAMMINGS VIA OBSTRUCTION OF THE RULE OF LAW, FINANCIAL RAPING'S, STATUTORY TENURE OBSTRUCTIONS AND EUGENIC PROGRAMMINGS http://endorganizedcrime.files.wordpress.com/2012/02/56003334-notarized-tort-may-2011-nys-crimevictim-affidavit-may-20-1.pdf OR http://issuu.com/prayerwarriorsneeded/docs/56003334-notarized-tort-may-2011-nys-crime-victim?mode=window&viewMode=singlePage
1. NYS Courts, Judicial crimes: pages 39-53:
http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may2011-nys-c?mode=window&viewMode=singlePage
2. Hempstead Public Schools, Settlement documenting Attempted Murder, Hate crimes, Statutory Tenure Violations, job mobbing, racketeering and corruption, US Black Codes Synder Name Crimes, Scheme to defraud, Unregulated Engagement in Conduct Likely to kill and Cause Serious Injury,Theft of over $670,000 Tenured income ,Pages 54-115: http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may-2011-nysc?mode=window&viewMode=singlePage 3. Office of the State Attorney General, Under Elliot Spitzer, Scheme to Defraud, Unconscionable Contracting, Theft of $3,872.00 pages 118-121:
http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may2011-nys-c?mode=window&viewMode=singlePage
4. Yonkers Public Schools: Hate crimes, Statutory Tenure Violations, job mobbing, racketeering and corruption, US Black Codes, Scheme to defraud, Theft of over $770,000 Tenured income, Unregulated Engagement in Conduct Likely to kill and Cause Serious Injury, Pages 122 to 144
http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may2011-nys-c?mode=window&viewMode=singlePage
YONKERS PUBLIC SCHOOLS EXEMPLARY EVALUATIONS PAGES 6-10 http://www.scribd.com/doc/32583060/Lippman-Law-Dept-Replicated-Theft-of-All-Forms-ofSupport-Wages-and-NYS-Statutory-Tenure-Obstructions-Unregulated-Attempted-Murder 5. PACE University, Aggravated Harassment, Hate Crimes, US Black Codes Synder Name, Theft of Income Earned, Job Mobbing, pages 146-150: http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may-2011-nysc?mode=window&viewMode=singlePage
6. Frivolous and Malicious Police report and enjoinment: page 153: http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may-2011-nysc?mode=window&viewMode=singlePage
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7. Disablement of Public Protection Offices, TITLE 18 > PART I > CHAPTER 13 ยง 241. CONSPIRACY AGAINST RIGHTS, pages 151-152: http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may-2011-nysc?mode=window&viewMode=singlePage 8. Borough of Manhattan Community College: Theft of Funds via Fraud based judgment Garnishment, US Black Codes Synder Name Crimes, Retaliatory Criminal Extermination of Income, Hate Crimes, Discrimination, Job Mobbing, Scheme to Defraud, Theft of Money Worked for over $30,000 stolen, pages 155 to 168: http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may-2011-nysc?mode=window&viewMode=singlePage
9. New York City Board of Elections: Hate Crime Administration, Blacklisting, scheme to defraud, racism, theft of money worked for on a seasonal job, pages 164-169: :
http://issuu.com/prayerwarriorsneeded/docs/56050639-full-notarized-finale-tort-may2011-nys-c?mode=window&viewMode=singlePage
10. Lippman Law Dept Replicated Theft of All Forms of Support, Wages and NYS Statutory Tenure Obstructions, Unregulated Attempted Murder http://issuu.com/prayerwarriorsneeded/docs/june_2010_documented_theft_of_all_forms_of_support? mode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/june-2010-documented-theft-of-all-formsof-support-wages-and-nys-statutory-tenure-obstructions.pdf 11. KILLERS LIPPMAN $ GRAY REPLICATED, UNREGULATED NYS STATUTORY TENURE OBSTRUCTIONS, CRIMINAL LAW DEPT USURPATIONS, JUDICIAL CASE FIXING, INDUCED POVERTY TO ADVANCE KILLINGS
http://issuu.com/prayerwarriorsneeded/docs/32405085-killers-lippman-gray-replicatedunregulat?mode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/32405085-killers-lippman-grayreplicated-unregulated-nys-statutory-tenure-obstructions-criminal-law-dept-usurpationsjudicial-case-fixing-induced-povert1.pdf 12. FRIVOLOUS LAW SUITS CRIMNAL REPORT AFFIDAVIT W CERTIFIED RECEIPTS MARCH 16, 2010 http://www.scribd.com/doc/28443726/Criminal-Report-Jonathan-Lippman-Bond-Number-Oath-ofOffice-Court-Entrapment-Patterns-Treason-Defraud-USA-Certified-Receipts-and-Notarize OR http://endorganizedcrime.files.wordpress.com/2012/02/criminal-report-jonathan-lippman-bondnumber-oath-of-office-court-entrapment-patterns-treason-defraud-usa-certified-receipts-andnotarized-1.pdf
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13. CRIMINAL REPORT W CERTIFIED RECEIPTS SNYDER’S MEMORANDUM OF LAW RE JUDICIAL CRIMES IN THE COURTS http://issuu.com/prayerwarriorsneeded/docs/28277070-memorandum-of-law-jonathan-lippmanholder?mode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/28277070-memorandum-of-law-jonathanlippman-holder-in-due-course-raqueteer-and-corruption-enterprise-no-signature-court-papers-freeonline-reading-of-all-3.pdf
14. Elder Abuse & Warrant for Arrest Jonathan Lippman Holder In Due Course False Instruments Administration MARCH 10, 2010 http://issuu.com/prayerwarriorsneeded/docs/28183019-elder-abuse-warrant-for-arrest-jonathanl?mode=window&viewMode=singlePage OR http://endorganizedcrime.files.wordpress.com/2012/02/28183019-elder-abuse-warrant-for-arrestjonathan-lippman-holder-in-due-course-false-instruments-administration1.pdf
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