universal-fashion-art-music et allied products
Wednesday, September 12, 2012
AMERICA: RACISM, RACIAL DISCRIMINATION AND RELATED INTOLERANCE IN THE JUDICIAL SYSTEM
LIMPT, INC. (HUMAN RIGHTS, LAW REFORM & LITIGATION PROJECT - INTL. CHAPTER)
c/o Dr. Phillip C. Ofume (USA)
P. O. Box 2416
Lynn, MA 01903
Tel. 857-266-2253/781-479-9027
E-mail: limptintinc@gmail.com or
globalaids_hivcureinteraction@yahoo.co.uk or
humanrights.researchgroup@gmail.com
_____________________________________________________________________
Our Ref. Sup.Ct. Mass/LIINC./09 -12/Petition -Compliance/90398 Date: Sept., 7 2012
Clerk, Civil Action
Suffolk County Superior Court Department
Suffolk County Courthouse , 12th Floor
Three Pemberton Square
Boston, MA 02108
Dear Sir/Madam:
PETITION TO DISMISS OR STRIKE DEFENDANTS' LIST OF DOCUMENTS EXTRA- JUDICIALLY DESIGNED TO PROCEED WITHOUT PLAINTIFF'S OPPOSITION
RE. MOTION TO EXTEND TIME TO FILE OPPOSITION TO DEFENDANTS' MOTION TO DISMISS PLAINTIFF'S COMPLAINT - Phillip Ofume v. Brockton Public Schools and 18 others Civil Action No. 12-2372B
On before Wed, Aug 22, 2012 pursuant to Massachusetts Superior Court, Rule 9A et al, we filed and variously served upon Defendants the Motion referenced or Motion for Extension of time to file Opposition to defendants' purported Motion to Dismiss Plaintiff's Complaint and herewith attached and marked EXHIBIT A but today (09/07/2012) we are very shocked to receive a letter of Lorna M. Hebert (EXHIBIT B) filing list of documents with the Clerk of this Court without Plaintiff's Opposition and if these attorneys or representatives and defendants were non-whites the Clerks would request for Plaintiff Opposition before accepting the cover letter and list of documents attached but these submissions were received without questions because of race and color.
In Clerk's office under Rule 9A civil process Plaintiff found racial discrimination because to protect the filing of the white defendant's or plaintiff's documents or papers, white clerks accept further copies of the documents served on the opposition and further addressed to the Clerk to remind or put the Clerk on notice that they have respected Rule 9A and that the opposing party has been served pursuant to this Rule. Same process notice presented by non-whites to the white clerks for filing is denied to enable whites extra-judicially deny and convince the predominantly white judges that non-whites did not oppose their submissions.
For example in several trial courts of the Commonwealth of Massachusetts the clerks including clerks in Suffolk, Essex, plymouth, Hampden, etc counties and white parties connive together to censor the submissions of non-whites including motions, oppositions, certificate of service, etc to enable white parties prevail without merit and criminally. This ugly process will be fatal if found in criminal process. https://groups.google.com/forum/?fromgroups=#!topic/soc.org.nonprofit/8XaRak-FC1U;http://universal-fashion-art-music.blogspot.com/search?q=COMPLAINT+AGAINST+CLERK+OF+THE+COURT ;https://www.facebook.com/permalink.php?id=249815601754958&story_fbid=206670842786279 ;http://universal-fashion-art-music.blogspot.com/2011/11/massachusetts-commission-on-judicial.html; etc.
Under Obstruction of Justice to enable this Court proceed without Plaintiff's Opposition to Defendants' Motion to Dismiss Plaintiff's Complaint, Defendant failed to allow September 20, 2012 pass before filing these papers or EXHIBIT B. Plaintiff Motion for Enlargement of Time to Opposition was not opposed by the Defendants.
Therefore,
because of the fore-going, Plaintiffs request this Court to dismiss or strike out Defendants' submission including the entire EXHIBIT B without prejudice. Failure to heed and dismiss or strike out EXHIBIT B this matter will be put on broadcast nationally and internationally because of public interest. Plaintiff requests hearing in this petition.
Respectfully petitioned,
LIMPT, INC. (HUMAN RIGHTS, LAW REFORM & LITIGATION PROJECT - INTL. CHAPTER)
______________________
Phillip C. Ofume, Ph.D.
Supported by Dr. Phillip Chukwuma Ofume & Associates:
Phillip C. Ofume, Ph.D.
International Coordinator (Strategic Policy/Practice of Politics of Unification and Unifification Politics), U.S. Coordinator ( LIMPT, INC. (HUMAN RIGHTS, LAW REFORM & LITIGATION PROJECT - INTL. CHAPTER)
Godson Etiebet, Ph.D. Researcher on Policy/Practice of Good Government
Cynthia H. Taylor, Ph.D. International Collaboration Developer
Alh. (Dr.) Farruk Mohammad - Strategic Policy Researcher
Tan Ochollu, D.Lit. - Expansion Project Developer
Reid MacDonald, Ph.D. - Strategic Program Developer
Kris Kifindi Bunkheti, Ph.D. Unification Policy and Practice
Jerome Tesfai, D. Min/Div - Domestic Intervention Strategist
Francois Bourgeois & Pierre Bushel - International Human Rights Watch and Democracy
AFRICAN CANADIAN HUMAN RIGHTS ASSOCIATION (ACHRA);
NETLINK INTERNATIONAL COMMUNICATION SYSTEM (NLICS);
INTERNATIONAL CAMPAIGN FOR NIGERIAN PEOPLE’S LIBERATION AND DEMOCRACY(ICN-PLD);
OIL AND CHEMICAL WATCH INTERNATIONAL (OCWI);
AFRICAN CANADIAN IMMIGRANT SETTLEMENT ASSOCIATION (ACISA);
INTERNATIONAL NETWORK FOR PEACE AND DEVELOPMENT IN AFRIK (NIPAD).
LIMPT, INC. (EDUCATION AND WORKFORCE PROJECT ET ALS)
MOVEMENT FOR EMANCIPATION OF THE NIGER DELTA (MEND)
INTERNATIONAL MOVEMENT FOR NEW FEDERAL UNION OF NIGERIA (IMUN, INC.)
CERTIFICATE OF SERVICE
I, Phillip Ofume certify that a true copy of the above referred documents or letter to the Clerk of this Court was served on the parties by hand delivery, electronically and U.S. Postal Service first class mail on September 7, 2012 at:
Lorna M. Hebert MURPHY, HESSE, TOOMEY & LEHANE, LLP
Crown Colony Plaza
300 Crown Colony Drive, Suite 419
Quincy, MA 02169
____________________
Phillip C. Ofume, Ph.D.
cc.
Mr. Matthew H. Malone
Mr. John R. Jerome
Mr. Nicholas A. Ogden
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