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Case 1:07-cv-11623-DPW Document 35-3 Filed 05/28/2008 Page 2 of 3

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,Case 1:08-ni.c~0001 O-RJl Document 1 Filed 01/04/2008 Page 11 of 24 I
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IN THE ,.. . ' , '~j, eoumr
. lJNlTI:DSTAD'tSDiSTafCr ,:"
lOa 18.1 J)~nucro,o.,~~

l'ELIPE VIClNlILUBERES, ET AI..,


Civil AotionNo. 07-1 t6Zl{l).
'MaSs.)
v.

UNCOMMON PRODUCTIONS, llC, ET AL.,


Def'eudants.
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!

I declare upder paaItf, Qf perjury ~ folloWs: .

1. My name is ChristoJ)her~. By v~o~'Ulmac.boIic priest ~ on

November 8. 1982.

.2. I alit Dl)t a eitizon oCtile United Sq~~ ofAmericaBY virtt.ae Qftbe bUth c:ouutries
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army parentS, I am a dual citizen oftbe countries QfSpain and the U~ Kmgaom. , II
3. In August 2007, I was ~signed by my Arcbdiooese to undertalce mission 'WQI'k in I,
Btbiopia. J have resided since that time in EtbiGpie and will continue tQ reside ~e Wldl ~
eo...... by,mArcher
assiftIi>M y ~.

4. I do not ~ly tmvol wthe Di$Cii(;t QfCQlumliia.


In November - ~ 2007, l~ocl'D'omEthiopm to:~UJJi:ted,S~ for
0.. .

approxililately three weeks. Dining tbI¢ ~ I ~ the Di$rict or~tobi4 ftomNoveniber


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1 2007 tbrougb N<wembet 15, 2007.'

6. On November 14, 2007}I attcilded a. ~ of the ~"The Price of

Sugar" at a location near the ~ St-.es eapirolBuih;1iD,giJl ~ Diltritt of CoIQmJ>ia.

Exhibit A
Pagel
Case 1:07-cv-11623-DPW Document 35-3 Filed 05/28/2008 Page 3 of 3

Case 1:08~mc·00010-RJL
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DOcUfnEmt"1"" "Filed 01/04/2008 Page 12 of 24

1. On November 14,2007, I was DOt served with the subpoena issued by Benjamin

G. Chew and attached as exhibit A !Xl this declaration.

8. On November 14, 2007. no one approached me and attempted to band me the

subpoena issued by Benjamin G. Chew ~ ~ as exhibit A to this declaration.

9. During the afternoon ofNovem'ber 147 2007, while accompanied by Ii reporter

from CNN, Joe Jolms, I ~d hear- an individual can out my Dame as I crossed an intersection near

the United States Capitol Building in theI)istrict "of Columbia. H9wever, I did not seethe

individual. The individual did not band me any documents and did not attempt to hand me any

documents.

10. On December 5. 2001, I retume<J to Ethiopia fr-om the United States. I have been

continuously present in Ethiopia since December 5, 2007.

11. I have reviewed the subpoena issued by Benjamin G. Chew and attached as
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"exhibit A to this declaration. I first saw this doClllDtnt in January 2008. No documents

respoDSive to that subpoena are located in either the District ofColumbia or elsewhere in the I
United States.

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I declare lmder penalty ofpeIjury under the laws ofthe United States ofAlnerica that the

foregoing" is true and correct." EXecuted on Jamiary 4, 2008.

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Exhibit A
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