universal-fashion-art-music et allied products
Sunday, June 24, 2012
INTERNATIONAL NGOs CALL FOR IMMEDIATE AND UNCONDITIONAL RESIGNATION OF THE HON. SEC. OF THE DEPARTMENT OF ECO DEV AND HOUSING AND OTHERS
CALL FOR RESIGNATION OF THE MASSACHUSETTS HON. SECRETARY OF THE DEPARTMENT OF ECONOMIC DEVELOPMENT AND HOUSING (DEDH) AND UNDER-SECRETARY OF THE DEPARTMENT OF HOUSING AND COMMUNITY DEVELOPMENT (DHCD) BECAUSE OF BRIBERY AND CORRUPTION, OBSTRUCTION OF JUSTICE AND WASTE OF PUBLIC OF FUND
Boston, USA June 24, 2012
In this case, Appellant is non-white on first part and DHCD or respondents and landlords are whites on second part. As usual the fight is whites and non-whites. Reason why this case has eaten off over 100 EXHIBITS (May 2012 - June 14, 2012) is because whites continued to waste public money in search of unnecessary documents en route to get evidence to get denial against non-white's (Ofume family) application for EA. Without reason EXHIBIT KKK and several other evidences were forged by the landlords and DHCD entered them into evidence.
When the landlords and DHCD failed based on Housing Court Summary Process Judgment Agreement dated March 7, 2012 and dismissal of the two Court Eviction Complaints of the Landlords, without reason the DHCD and the landlords claimed that there was Court Eviction whereas there was no Court Eviction because the case ended when parties (Ofumes and the landlordds and court) signed Housing Court Summary Process Judgment Agreement and awarded $8200.00 to the Ofume family and reduction of the high rent ($1,350.00 per month) criminally imposed on the Ofumes by the white landlords to only $600.00 if the Ofumes agreed to withdraw all the civil complaints ($5million) pending in the Plymouth Superior Court and Southeastern Housing Court. Reason that the BOARD OF HEALTH's multiple inspections and CMR have declared the disputed apartment as being unfit structurally and size fitness for family 8. Based on this fitness creteria, the Ofume suggested the date June 6, 2012 when they will relocate to a sizeable alternative apartment for a family of 8 people. Under white to white moneyed conspiracy, the Landlords and DHCD ignorantly tagged the agreement court eviction when there was not eviction trial.
Also under the blind white to white weak alliance and lack of law knowledge, DHCD has been consulting some lay people to ask for the meaning of Housing Court Summary Process Judgment Agreement and when the above failed DHCD continues to ride on fund plundering terrain and switch on to non-payment of rent and admitted forged documents created by the landlords which were dismissed by the Court on April 11, 2012. The Ofumes heavily overpaid the landlords for several months and the Housing Court Summary Process Judgment Agreement awarded them $8,200.00 and rent reduction from $1,350.00 to $600.00. The final Court document showed that property damage is $0.00 and amount owed to the landlords is $0.00. DHCD ignored judgement and order of the Court and DHCD prefers what fellow white said and forged.
This call extends to the earlier calls for elimination of the purported "Agency Administrative Fair Hearing" or Amendment of the CMR regulating Agency Administrative Fair Hearing and transfer these costly, corrupt and ineffective hearings to different Court departments where there are Judges and attorneys with the skill to administer and hear the complaints from agency service lines. The Massachusetts Department of Justice has been advised to use ADMINISTRATIVE PROBABLE CAUSE PROCEEDINGS ( PAC) to contain these processes and proceedings.
September 29, 2005 - present, in the state of Massachusetts, the Ofume family and Publishers have filed and appeared for over 93 administrative appeals and complaints and over 98% of these complaints were denied based of color, race, political alliance and other forms of bribery and corruption and because all the opposition parties are whites and money is paid to the agency to re-write justice. See http://www.google.com/#hl=en&gs_nf=1&gs_mss=DEFINITION%20OF%20BRIBERY%20&pq=bribery&cp=28&gs_id=9q&xhr=t&q=DEFINITION%20OF%20BRIBERY%20AND%20COrruption&pf=p&sclient=psyab&oq=DEFINITION+OF+BRIBERY+AND+CO&aq=0&aqi=g1&aql=&gs_l=&pbx=1&bav=on.2,or.r_gc.r_pw.r_qf.,cf.osb&fp=a8708267f6810afa&biw=1366&bih=621
In the case posted below, political opponents of the complainants or appellants paid money to the DHCD, DEDH, Housing and Superior Court, Brockton. MA to render the Ofumes homeleess to derail their campaign for Good Government in Nigeria via bid for the President of Nigeria 2015, High Standard of Education in U.S. Urban and Mixed Urban schools or non-white schools and campaign for the President of the America Association for Affirmative Action (AAAA). AAAA's inside research and investigation show that whites oppose change sought by Dr. Phillip Chukwuma Ofume because since 1974 AAAA has not done anything to realize equity and inclusion because Affirmative Action is pleaded under race, color and ethnicity instead of initial realization of standard and quality education in non-white schools or urban and mixed urban school to cause readiness for tertiary institution and job competitiveness. Under the status of AAAA 1974 - present, whites are cheating non-whites under almost zero-competition in education and labour whites want AAAA to continue to be drone and pleading for peanut or starvation wages or few indentured labor.
Posted by: Dr. Phillip Chukwuma Ofume/IHRRG/IMUN,INC./IHRRG/MEND/NDLIF/LIMPT, INC/ASSOCIATES
------------------------------------------------------------------------------------------------------------
P. 1
COVER SHEET
Attention:
Ms. Boe Morgan
Hearing Officer
Headquarters
Department of Housing and Community Development (DHCD)
100 Cambridge Street, Suite 300
Boston, MA
From:
Dr. Phillip C. Ofume
c/o Fountain of Grace Church
Canton, MA
__________________________________________________________________________________
P. 2
COMMONWEALTH OF MASSACHUSETTS
DEPARTMENT OF HOUSING AND COMMUNITY DEVELOPMENT(DHCD)
Phillip Ofume v. DHCD
Motion to Enter Further Exhibits
Appellant, Phillip Ofume moves to enter the following supplemental exhibits:
1. Exhibit DDD (Receipt for payment of House Rent paid for Apartment located at 96 Walnut St. Brockton, MA 02301 for $1,300.00/month.
2. On August 16, 2011 under armtwisting, the Landlords (RST Investment Group & Landlords Connection) forced Appellant to take an apartment (506 Warren Avenue #2 Brockton, MA 02301) with over 98% defects (without serviceable doors, windows, electrical sockets in the majority of the sockets, no heating system and heat and thermostat for heating, etc) and the landlords heartlessly jumped the rent from $1,300.00 to $1, 350.00 for better apartment above.
P. 2
506 Warren Avenue #2 Brockton, MA 02301 also had leaking roof and the entire apartment is waterlog and not habitable; all the rooms were filled with severe forms of molds and the BOARD OF HEALTH Declared the entire apartment as being unfit to appellant under 6-year child/ren; under fitness for family of 8, it is unfit and in EXHIBIT EEE the Judge ordered for alternative apartment ( see EXHIBIT EEE).
3. EXHIBIT FFF and EXHIBIT GGG show that the landlords are liars because EXHIBITS HHH, III & JJJ show that Appellants paid all their rents and never owed the landlords before due date. The landlords are agents of Appellant's political opponents. Judge of the housing court agreed with Appellant and awarded damages against the landlords at the rate of sum amount of $8,200.00.
4. There is no court judgment which shows that Appellant damaged properties of the landlords. EXHIBIT KKK
P. 3
is not Court document. It was forged by the landlord to implement paid political action. Also EXHIBIT LLL is horrible because the housing specialist was paid by the landlords to write the unsigned report dated January 3, 2012 because the BOARD OF HEALTH conducted Inspection (further Inspection because Appellant petitioned the BOARD OF HEALTH to the FEDERAL ENVIRONMENTAL PROTECTION AGENCY (FEPA) for conniving with the landlord to hide several defects in the apartment and thereafter January 4, 2012 the Mayor who is part of this moneyed political activities was forced to request BOARD OF HEALTH to conduct further Inspection at 506 Warren Avenue Apartment #2 Brockton, MA O2301. The January 4, 2012 inspection shows that the landlords have not fixed majority of the defects in the apartment. See EXHIBITS 000 & PPP.
5. All the three receipts which the landlords brought to the hearing on June 12, 2012 to support their corrupt friends (DHCD) show no proof of the repairs
P. 4
cited by the BOARD OF HEALTH IN EXHIBITS 000 & PPP.
6. Landlords said that only thermostat was claimed by the court and socket or thermostat is one of the several defects defects cited by the BOARD OF HEALTH on two major inspections dated Dec 5, 2011 and January 4, 2012.
7. Motion dated May 31, 2912 of the Appellant has disclosed over 81 exhibits and sub-exhibits in Support of Appellant's Appeal.
Based on the foregoing , DHCD's paid allegation must be dismissed.
Respectfully submitted,
Phillip C. Ofume, Ph.D
_________________________________________________________________________________
HORRIBLE PERSECUTION AGAINST THE OFUME FAMILY IN NIGERIA, TOGO, CANADA AND USA BECAUSE OF ITS CAMPAIGN FOR CIVIL LIBERTIES, BID FOR THE PRESIDENT OF NIGERIA, RELIGION EQUITY AND TOLERANCE AND RELATED ACTIVITY. SUPPORT THE FAMILY. SEE SMALL PIECE OF THESE PASSAGES BELOW PARTICULARLY THE 10TH FORCIBLE HOMELESSNESS ON JUNE 12, 2012 WHICH IS ALSO THE 19TH ANNIVERSARY OF THE ANNULMENT OF THE FIRST AND ONLY TRANSPARENT PRESIDENTIAL ELECTION IN NIGERIA 1960-PRESENT.
______________________________________________________________________________
COMMONWEALTH OF MASSACHUSETTS
DEPARTMENT OF HOUSING AND COMMUNITY DEVELOPMENT(DHCD)
___________________________________________________________
PHILLIP CHUKWUMA OFUME
Appellant/Applicant
DEPARTMENT OF HOUSING AND COMMUNITY DEVELOPMENT, BROCKTON, MA
Respondent
______________________________________________________________________
SUPPLEMENTAL STATEMENT IN SUPPORT APPELLANT’S EMERGENCY NOTICE OF APPEAL FROM THE PURPORTED DENIAL OF MR. PAUL BOWAN AND MS. PAULETTE SILVIA DATED JUNE 12, 2012
_____________________________________________________________________
Here comes Appellant, Dr. Phillip Chukwuma Ofume on behalf his family moves to appeal the denial of his EA application aforementioned and request for Emergency Hearing because of the following reasons:
A FACT
1. Over thirty six days (36) they were several requests for different unnecessary documents based on highly politicized verification activities to the extent that Appellants submitted over eighty one (81) exhibits and on June 8, 2012 the final document was received by the Respondent and on June 11, 2012 Respondent told Appellant that his application has been approved and that on June 12, 2012 he should move his and family's luggage to the DHCD office in Brockton, MA at 8.00 a.m. for placement in shelter.
2. Early as 8.00 a.m. Plymouth Sheriff evicted Appellant and his family and members of their church (CHURCH OF JESUS CHRIST OF LATTER-DAY SAINTS) helped him and his family transport their luggage to the DHCD office.
1
OFUME V. DHCD
3. Between 8.00 - 3.00 pm Respondent abandoned Appellant and his family and at about 3.00pm Mr. Paul told Appellant that his application for EA is denied. He failed to announce this denial early. Respondent failed to give reason why they waited for the last day after the eviction to announce denial and after all the documents have been submitted and received by the Respondent.
4. The reason which Mr. Paul gave for denial was that the landlord told them that Appellant damage his heating thermostat cover whereas the maintenance person of the landlords removed the cover of the thermostat and when the Appellant and his family asked him why he removed it, he said that he was going to service it to make it work but he did not come back with the cover. When Appellant and his family were forced to occupy the apartment the cover of the thermostat and several other things in the apartment were some of the defects in the apartment which were cited by the BOARD OF HEALTH.
5. There were no prior move in inspection in the apartment and the Respondent did not request for discovery when they called the landlord on June 2012 and Appellant was in the office of the Respondent. After telephoning the landlord instantly Mr. Paul told Appellant that the Landlord told him that the eviction was because of non-payment of rent and not as result of property damage as claim to by Mr. Paul in contradiction. The landlord lied because the Appellant over paid the landlord and in the Judgment the Appellant and his family were awarded the sum of $8200.00. See EXHIBITS A, B, C, & D.
6. Appellant restates that the Heat Thermostat Covert was damaged prior to Appellant and his family occupation of the defective and broken apartment which failed fitness test of the BOARD OF HEALTH. See EXHIBIT G.
See EXHIBITS A, B, C, & D.
7. The Summary Judgment Agreement and Plymouth Sheriff papers did not mention property damage or amount against Appellant or judgment debtor and this moneyed action of the Respondent accepted the claim which was not entered in the final judgment. SEE EXHIBITS E & F.
8. That apartment which the Respondent paid for was not rented to the Respondent. On
2
August 16, 2011 at about 10.00 pm which was the day of move in the landlords forcibly placed
Appellant and his family at 506 Warren Avenue, Apartment #2 Brockton, MA 02301.
9. On August 16, 2011 which is the day of move in, Appellant have exhausted the money they had during long stay in he hotel and large down payment for these apartment located at 96 Walnut Street Brockton, MA 02301.
10. At 506 Warren Avenue, Apartment #2 Brockton, MA 02301 there were several damages and few days of this forced occupation because the landlords refused to fix several defects in the apartment, Appellant filed Complaint with the BOARD OF HEALTH and two major inspections were conducted by the BOARD OF HEALTH on December 5, 2011 and January 4, 2012 and several follow up inspections on fitness. The reports of the BOARD OF HEALTH are hereto marked EXHIBITS A, B, C, & D.
`11. As the politicized Respondents were looking for something to use to deny Appellant's application for EA they telephoned several people non of them said anything against the Appellant and his family. Since 2006 when Appellant started using EA Benefit they have violated any CMR.
B. RELIEF
Based on the foregoing Appellant request Respondent to reverse or amend the decision appealed because the denial is usual 1990s – present paid political action to render Appellant homeless to reduce the momentum of his campaign for good government, human rights and most particularly campaign for President of Nigeria past and 2015 and President of AAAA 2012.
Respectfully submitted,
Phillip C. Ofume, Ph.D.
Appellant (Pro se & Forma Pauperis)
_________________________________________________________________________________
RELEASE ORDER IMMEDIATELY
LIMPT, INC., IMUN, INC., HRRG, IHRRC, LIMPT, INC. & ASSOCIATES
(EDUCATION & WORKFORCE PROJECT - USA CHAPTER)
c/o Dr. Phillip C. Ofume
P. O. Box 2416
Lynn, MA 01903
Tel. 857-266-2253/781-479-9027
E-mail: limptintinc@gmail.com
globalaids_hivcureinteraction@yahoo.co.uk
_____________________________________________________________________
Our Ref. U.Sec/D.B./IHRRGC-LIMPT&A./06-12/CDN/9899 Date: June 11, 2012
Mr. Aaron Gomstein -Under-Secretary
Department of Housing and Community Development (DHCD).
100 Cambridge Street
Suite 300
Boston, MA 02114
Under-Secretary
Department of Housing and Community Development (DHCD).
100 Cambridge Street
Suite 300
Boston, MA 02114
Mr. Darrell Lemar - Director
Department of Housing and Community Development (DHCD).
100 Cambridge Street
Suite 300
Boston, MA 02114
Ms. Paulette Silvia - Regional Supervisor
Department of Housing and Community Development (DHCD).
75 Commercial Street
Brockton, MA
02302
Dear Sirs/Madams:
SUBMISSION OF ENDLESS EXHIBITS AAA, BBB, & CCC CONTINUATION FROM EXHIBITS ZZ (SEE BELOW) TO GET PUBLIC HOUSING OR EA WHICH THE WHITES AND SUPPORTERS OF CONSERVATIVE/REPUBLICAN PARTY GET WITH STATE ID CARD AND BIRTH CERTIFICATE
http://www.phillyimc.org/en/event/submission-endless-exhibits-aaa-bbb-ccc-continuation-exhibits-zz-see-below-get-public-housing-
RE. DHCD: PETITION BELOW IS BEST SAMPLE OF THE REASON SEVERAL AMERICAN MEN, CHILDREN AND WOMEN ARE HOMELESS, POOR, STARVING, ETC. - Phillip Ofume et als v. DHCD
On Thursday June 7, 2012, after the applicants submitted EXHIBITS XX, YY and ZZ the Supervisor, Ms. Silvia told applicants (Ofumes) that their documents are complete and the application is ok but Mr. Darrell Lemar will decide before 4.00 p.m. She told applicants to go and drop their telephone in other to call them soon as Mr. Lemar issue his decision at 4.00 pm but no decision was issued. On June 8, 2012, Applicants were some of the first clients to arrive in DHCD office and signed the register. With overwhelming surprise, the case worker Mr. Paul told the Ofumes that Mr. Lemar re-requested EXHIBITS RR and VV which are complete NOTICE TO VACATE APARTMENT and SUMMARY JUDGMENT AGREEMENT dated March 7, 2012 with mandatory NOTICE TO VACATE APARTMENT on June 6, 2012 and the 48-hour Sheriff's Notice of Eviction/Removal which was issued on June 7, 2012 and served on the Ofume and served on all the parties mentioned above and the forcible eviction /removal will be carried out on June 12, 2012 at 9.00 a.m. (EXHIBITS AAA, and BBB). Soon as the family was told by Mr. Paul that only one paper which is part of EXHIBITS WW, XX, YY and ZZ EXHIBIT CCC is remaining to complete their , Dr. Ofume rushed to get duplicated NOTICE TO VACATE APARTMENT in the Southeastern Housing Court, Brockton, MA Seession and when Dr. Ofume was reviewing case file No. 121433SP00493BR he saw EXHIBIT CCC which was written by one of the LANDLORDS and called NOTICE TO VACATE APARTMENT and which was not served on the Ofumes because the LANDLORDS' case was dismissed because of INSUFFICIENT SERVICE and PARTIES, etc. Paid political action action of the above listed parties continue because less than one hour of Dr. Ofume's errand to/from the Court the caseworker was sent home to strain completion of the application and assigning the family to apartment. Dr. Ofume waited for over five hours and the surpervisor and others did not inform Dr. Ofume that the family's case worker has been sent home for the entire day. Dr. Ofume gave LANDLORDS' NOTICE TO VACATE APARTMENT to one of the staff, Ms. Maureen who is connected with the parties listed above and other opposition (further statement reserved for the meretime). She agreed to give the document to Mr. Paul and Ms. Silvia.
This the hell Blacks have been facing to get housing and other services since the birth of America and major reason their development has been stocked and poverty expanded and tagged BLACKS HOLOCAUST and now under VOTER ANGER THEORY 1999-2012 what suspected supporters of President Barack Obama face to force them to blame the government of President Obama. This the crook plan which the CONSERVATIVE/REPUBLICAN PARTY put in place to win midterm election November 2010 and because this party has enjoyed this fraudulent plan November 2010, it has decided to re-use the plan for the elections to elect President of America November 2012. In greater part 2005 - present, if not the corrupt and politicized system (USCIS and BIA) in Phoenix, Virginia and Nebraska and the Ofumes agreed to abandon their campaign for the PRESIDENT OF NIGERIA and NATIONAL PRESIDENT OF THE AMERICAN ASSOCIATION FOR AFFIRMATIVE ACTION (AAAA) past and 2015 in order to get EMPLOYMENT AUTHORIZATION and other services; how is it rationale for the Ofumes with extensive and sound academic and professional qualifications including but unlimited to two doctorate degrees would be begging for public shelter and endure pain of $0.00/mo? The meaning of all these is that America is corrupt, vulnerable democracy and unfit to teach democracy and be included as part of transparent democratic world.
http://www.phillyimc.org/en/event/american-association-affirmative-action-aaaa-election-crisis
Dr. Phillip C. Ofume's Mandate 2011/2015:
http://www.phillyimc.org/en/event/dr-phillip-chukwuma-ofume-president-nigeria-2011-complete-political-manifesto
and foreign opposition because of this, http://universal-fashion-art-music.blogspot.com/2011/07/america-uk-and-some-western-nations.html; http://universal-fashion-art-music.blogspot.com/2012/06/holyoke-police-department-paid-by.html
__________________________________________________________________________________
The conditions petitioned have sifted from usual race, color, gender and related intolerance which have affected urban and mixed urban communities to this particular condition based on political agenda of the DHCD et als to render Dr. Phillip Chukwuma Ofume, Mrs. Maureen Ngozi Ofume and six children all which are Refugees/Asylees/Stateless, U.S. Citizen, Canadian Citizens and riders of the Refugees/Asylees/Stateless statues because of their bid for the President of Nigeria past and 2015 and because they are suspected to be likely supporters of President Barack Obama. Homeless and sanction on other services are best options to build effective VOTERS ANGER 2012. Other minor pending issues are several million dollars lawsuits and call for standard education in the district of Brockton which made the Mayor of Brockton to join this campaign to force applicants/petitioners to relocate to another state or district and make them vulnerable to follow these potential campaigns in nigeria or USA and lawsuits. 1990 - present, nigerian foreign and domestic oil/gas companies and their allies have been investing billions of dollars on this covert activities including several political assassinations and the on-going homeless plot directed against the Ofumes is the 10th since August 19, 2009.
Take Notice that today, June 6, 2012 you (Under-secretary and Mr. Darrell Lemar and Ms. Paulette Silvia of the DHCD) have been added as intervenors in this actionable application because information reveals that you are responsible for demanding the endless evidence listed and fully incorporated below without considering the operating state and federal DOCUMENT REDUCTION ACT and Forma Pauperis which put applicants under district, county, state and federal poverty level and can not survive this expenditure or drain of pocket. $14.00 was spent today to swear affidavit to incorporate a sworn declaration of evidence which requires simple verification "under penalty of pains and perjury." The DHCD Brockton said Boston advised it to request applicant to notarize the affidavit before notary public. Mrs. Ofume's pay stubs were submitted time to time as well as several other documents and today with further surprise Ms. Paulette Silvia found that they were removed from the applicants' case file. These are faultless applicants who have not received EA benefits for over 12 months and five year child who is U.S. citizens and all other family members are eligible to receive EA but under this oil/gas moneyed action, the above listed actors want to render applicants homelesss. Physical and other evidences received by the Respondents are as follows:
EXHIBIT NO. NAME OF EXHIBITS
A. Dr. Phillip Chukwuma Ofume: Applicant’s Statement for Emergency
Assistance Shelter
B. Mrs. Maureen Ngozi Ofume: Applicant’s Statement for Emergency
Assistance Shelter
C. Mr. Keynes Onyero Ofume: Applicant’s Statement for Emergency
Assistance Shelter
D. Judgment of the Honourable Justice Edwards of the Southeastern Housing Court Department, Brockton, MA Session and SUMMARY PROCESS AGREEMENT FOR JUDGMENT dated March 7, 2012. Tenants , Dr. & Mrs. Ofume and their family were awarded damages of $8,200.00 in rent and also awarded to them is reduction of the monthly rents from $1,350.00 per month to $600.00 per month based on the poor and inhabitable conditions of the apartment (506 Warren Avenue Apt. #2 Brockton, MA 02301).
E. Report of the BOARD OF HEALTH dated December 5, 2011 against the Landlords, RST INVESTMENT GROUP and LANDLORD CONNECTION of 561 Main Street Brockton, MA 02301
F. Report of the BOARD OF HEALTH dated January 4, 2012 against the Landlords, RST INVESTMENT GROUP and LANDLORD CONNECTION of 561 Main Street Brockton, MA 02301
G. BOARD OF HEALTH CERTIFICATE OF VIOLATION OF FITNESS
dated December 2, 2011 against the Landlords, RST INVESTMENT GROUP and LANDLORD CONNECTION of 561 Main Street Brockton, MA 02301. Apartment has no certificate of fitness and based on citations of the BOARD OF HEALTH the apartment is not habitable and applicants must vacate.
H. Certificate of the United Nations High Commission for Refugees(UNHCR) issued to Dr. Phillip Chukwuma Ofume
I. Certificate of the United Nations High Commission for Refugees(UNHCR)
issued to Mrs. Maureen Ngozi Ofume
J. Mrs. Maureen Ngozi Ofume’s Employment Authorization Card
K. Mr. Keynes O. Ofume’s Social Security Card
L. Mr. Keynes Ofume’s Employment Authorization Card
M. Ms. Isabelle Ifeoma Ofume’s Employment Authorization Card
2
LIMPT, INC. & IMUN, INC. V. DHCD
N. Mrs. Maureen N. Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
O. Dr. Phillip Chukwuma. Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
P. Mr. Keynes. Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
Q. Ms. Isabelle Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
R. Ms. Lynda Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
S. Mr. Barnett Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
T. M. Christian Ofume’s Receipt for 1-765 Application for Permanent Resident or Adjust Status
U. Ms. Gloria Ofume’s US. Birth Certificate
V. Mr. Keynes Onyero Ofume Pay check stubs
W. Mr. Keynes Onyero Ofume Pay check stubs
X. Mr. Keynes Onyero Ofume Pay check stubs
Y. Mr. Keynes Onyero Ofume Pay check stubs
Z. Mr. Keynes Onyero Ofume Pay check stubs
AA. Mr. Keynes Onyero Ofume Pay check stubs
BB.Ms. Lynda Lafayette Ofume’s Canada Birth Certificate
CC. Mr. Barnett Ofume’s Canada Birth Certificate
DD. Mr. Christian Tobechukwu Canada Birth Certificate
EE. Dr. Phillip C. Ofume’s Social Security Card
3
LIMPT, INC. & IMUN, INC. V. DHCD
FF. Ms. Isabelle Ofume’s Social Security Card
GG. Mrs. Maureen N. Ofume’s Social Security Card
HH. Dr. Phillip Chukwuma Ofume’s Employment Authorization Card
II. Dr. Phillip Chukwuma Ofume’s 1-94 Card
JJ. Mrs. Maureen N Ofume’s 1-94 Card
KK. Mr. Keynes Ofume’s 1-94 Card
LL. Ms. Isabelle Ofume’s 1-94 Card
MM. Lynda Ofume’s 1-94 Card
NN. Barnett Ofume’s 1-94 Card
OO. Christian Ofume’s 1-94 Card
PP. Pay stubs - Mr. Keynes Ofume
QQ. Eviction Notice or
RR. Summary Judgment Agreement
SS. Pay stubs - Mrs. Maureen N. Ofume
TT. Application for Unemployment Assistance - Mr. Keynes Ofume
UU. Further Eviction Notice - DUPLICATION contrary to Document Reduction Act
VV. Original Eviction Notice and verified statement of lack Notice to Quit - DUPLICATION contrary to Document Reduction Act. During trial Ofume family moved for outright dismissal of the landlords' complaint because of INSUFFICIENT NOTICE and The Honourable Presiding Justice Edwards dismissed landlords' (RST INVESTMENT GROUP, INC & LANDLORD CONNECTION).
WW. Notice of Appearance by the Chief Counsel for the DHCD on January 28, 2011 in support of the applicants during another politics on access to right to EA.
XX. NOTICE OF APPEAL appealing the unwarranted denial of applicant application for EA aimed at rendering the family homeless to destabilize the family and its project in the United States.
YY. AFFIDAVIT of Mrs. Maureen Ngozi Ofume, sworn before the Commissioner of Oath and delivered on June 6, 2012.
ZZ. Letter of the Department of Homeland Security (USCIS) dated March 28, 2012 on the status of pending APPLICATION FOR EMPLOYMENT AUTHORIZATION DOCUMENT (EAD) to Mrs. Ofume.
PETITION: Applicants who have been presidential aspirant to the President of Nigeria, Dr. Phillip Chukwuma Ofume, Mrs. Maureen Ngozi Ofume and their seven (7) children past and 2015 had standby political opponents across the United States, Canada,
Nigeria, etc with several billion dollars of looted money from applicants' region (NIGER DELTA REGION OF NIGERIA) to influence governments and their agencies to use homelessness, sanction on EAD, transitional services pending employment as political backup to attack applicants' campaign for the President of Nigeria. It is not normal for agency (DHCD) to request for extensive and irrelevant documents from eligible EA applicants (Refugees, Asylee, U.S. Citizen, Canadian citizens, etc) and same standing under district, county, state and federal poverty level. It costs time and money to run these tracks and errands. During these serial errands 2005 - present, we have perused the documents used to grant whites, blacks, hispanics, arabs, etc EA.
Please acknowledge receipt in writing.
https://www.google.com/#hl=en&output=search&sclient=psy-ab&q=HON.+SECRETARY+OF+HUD&oq=HON.+SECRETARY+OF+HUD&aq=f&aqi=&aql=&gs_l=hp.3...190.19488.1.21226.24.23.1.0.0.0.301.3119.8j11j3j1.23.0...0.0.OTcBGcooiQI&psj=1&bav=on.2,or.r_gc.r_pw.r_cp.r_qf.,cf.osb&fp=8023d1887b79f45b&biw=1366&bih=621
Yours truly,
LIMPT, INC., IMUN, INC., HRRG, IHRRC, LIMPT, INC. & ASSOCIATES
(EDUCATION & WORKFORCE PROJECT - USA CHAPTER)
Phillip C. Ofume, Ph.D.
National Coordinator/Representative/Advocate for the Ofume family
Copies to:
President Barack H. Obama
President of the United States of America
1600 Pennsylvania Avenue, NW
Washington, DC 20500
Vice- President Joseph Biden,
Washington Office:
Eisenhower Executive Office Bldg.
Washington, DC 20501
Governor Deval Patrick
Governor of the Commonwealth of Massachusetts
Lt. Governor Tim Murray
LIEUTENANT GOVERNOR OF MASSACHUSETTS
Honourable Eric H. Holder, Jr.
US Hon. Secretary of Justice and Attorney General,
U.S. Department of Justice
950 Pennsylvania Avenue, N.W.
Office of the Assistant Attorney General, Main
Washington, D.C. 20530
Ms. Mary Patrice Brown, Acting Counsel
Office of Professional Responsibility
950 Pennsylvania Avenue, N.W., Suite 3266
Washington, D.C. 20530
His Excellency, High Commissioner
United Nations High Commission for Refugees (UNHCR)
Headquarters,
Geneva, Switzerland
His Excellency, High Commissioner
United Nations High Commission for Human Rights (UNHCHR)
Headquarters,
Geneva, Switzerland
Chief Financial Officer of the United States U.S. EPA
1200 Pennsylvania Avenue, NW
Mail Code 2710A
Washington, DC 20460
Hon. Secretary Shaun Donovan
Chief of Staff Laurel Blatchford
U.S. Department of Housing and Urban Development (HUD)
451 7th Street S.W.,
Washington, DC 20410
Hon. Greg Bialeck
Hon. Sec. of Department of Housing and Eco Development
One Ashburton Place Room 2101
Boston, MA 02108
MAYOR OF BROCKTON
BROCKTON, MASSACHUSETTS
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