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Thomas A. Lamb 2806 Howe Place #1 Anchorage, Alaska 99517 E-mail: tlamb775@aol.com Telephone: 907-306-5855

IN THE SUPERIOR COURT FOR THE STATE OF ALASKA THIRD JUDICIAL DISTRICT AT ANCHORAGE ) THOMAS A. LAMB a Resident of the State of) ) Alaska, acting as pro se, ) ) Plaintiff, ) ) Case No.: 3AN-12- 09961 CI vs. ) ) PRESIDENTIAL CANDIDATE BARACK ) ) OBAMA, ) ) Defendant )

MEMORANDUM IN SUPPORT OF AMENDED COMPLAINT FOR ACCESS TO


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RECORDS OF PRESIDENTIAL CANDIDATE BARACK OBAMA


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Thomas A. Lamb, Plaintiff, files this Memorandum in support of amending his complaint
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filed on September, 25th, 2012. The original complaint has not been a responsive pleading. According to Alaska Civil Rule 15 (a) a complaint can be amended once before a responsive

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pleading has been served.


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The original complaint at this time has not been responded to and the Plaintiff had been
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carrying out due diligence under a restricted timeline from ripeness to the November 6th 2012, presidential election.

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Lawsuit Barack Obama Amended- 1

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The Plaintiff has continued with due diligence with trying to serve the original complaint in accordance with Alaska Civil Rule 4. 1 But has had no success. As stated in the affidavit of Due Diligence, the Secret Service indicated to the process server the summons must be mailed to The White House. Under a previous court order, service of the original complaint according to this court, has not been properly served. The Plaintiff filled a petition for review but he will be requesting a stay on a petition of review in the Alaska Supreme Court of this courts October 24th, 2012 order. This being done to continue with due diligence with serving the amended complaint. With the passage of the November 6th presidential election, Defendant Mitt Romney has been removed from the complaint. The issues surrounding Mitt Romney are rendered moot. Unfortunately, the election has passed and the Plaintiff did not vote because the issues brought before this court were not addressed. In effect, the Plaintiff was injured with not having the facts to make an informed vote. The Plaintiff still has a cognizable interest in this case against the Defendant Barack Obama. So it is within the Plaintiffs right to seek through an amended complaint, a redress of the issues before this court and then with the facts obtained through a records request, initiate a congressional inquiry if the Defendant Barack Obama had committed an act of fraud. But first, the Plaintiff must exhaust out all administrative means to ascertain the facts before lodging a congressional inquiry under Article 1 to the federal constitution. The Plaintiff must have written consent by Barack Obama of the requested records in the amended complaint or an order by this court releasing the requested records. 2

See http://www.scribd.com/doc/113748946/Due-Diligence (lasted visited November 23, 2012) See http://www.whitehouse.gov/sites/default/files/omb/inforeg/lynn1975.pdf (last visited November 23, 2012)
Lawsuit Barack Obama Amended- 2

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Dated this _23rd __ day of November, 2012

____________________________ Thomas A. Lamb

CERTIFICATE OF SERVICE The undersigned certifies that on this 23rd day of November, 2012 I caused a copy of the foregoing to be served by Priorty USPS certified restricted mail to the following parties known address: Barack Obama 1600 Pennsylvania Ave. Northwest Washington D.C. 20500 Mitt Romney 311 Dunemere Dr. La Jolla, California 92307

________________________________ Thomas A. Lamb

Lawsuit Barack Obama Amended- 3

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