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VICTIM,
)
)
)
vs.
)
)
)
California Board of
Accountancy, a corporation and )
)
Does 1 through 100 inclusive,
)
)
Defendants.
Victim,

VICTIMS REPLY TO INTENTIONAL


FALSE AND FRAUDULENT STATEMENTS
BY THE SUPPORTER OF AND ENABLER
OF CHILD RAPISTS CBA (WHILE
PERSECUTITNG INNOCNET JEWS) IN
THE CBAS SPECIAL MOTION TO
STRIKE FILED 11-19-14
Hon. Gregory H. Lewis

HEARING DATE 3-2-2015

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Victim Victim, regretfully and respectfully files this REPLY in


response to the intentionally false and fraudulent statements of
Mr. Sonne who represents the CBA in its Special Motion to Strike
and effectively renders Sonnes fraudulent motion moot because
it is riddled with intentional lies and false statements and
based on the intentional false premise that somehow Section
425.16 even applies when Sonne very well knows it does not and
is a legal impossibility as described below.

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In fact, Mr. Sonne and his henchmen have a long history of


persecuting Victim while supporting, enabling and allowing
admitted child rapists to retain their CPA licenses if the child
rapists say they are sorry and will not rape any more children1.

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See attached Exhibit 1 which details all of the child rapists, sex perverts, thieves, tax fraudsters the CBA allows to
keep their CPAs thereby enabling them to continue their deviant acts while revoking, castigating and publically
disparagingvictim for being found innocent of all the false and fraudulent charges crafted by the CBA and the likes
of Sonne.
MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 1

Mr. Sonne is not alone in his support and enabling of child

rapists and deviant sex perverts, Sonnes and the CBAs love of

deviant behavior seems to extend to his apprentice and assistant

Ms. Sunseri who recently castigated Victim in an open public

forum wherein Ms. Sunseri spent 25% of her allotted time

quizzing Victim on anal gang rape by Jew hating black Muslims in

prison (a discussion that seemed to excite her greatly)2.

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Apparently Ms. Sunseri takes great satisfaction in describing

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anal gang rape by Jew hating black Muslims as she continuously

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was interrogatingvictim on the good times he must have had being

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raped, beaten and tortured by Jew hating black Muslims3.

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was apparently attempting to prove Victim enjoyed being anally

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raped by Jew hating black Muslims and severely beaten (which I

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guess is in line with Ms. Sunseris support and enabling of

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child rapists who say they are sorry for raping children over

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innocent Jews who will not apologize for crimes they never

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committed).

Sunseri

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INTRODUCTION

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As a preliminary matter, it is a legal impossibility for Section

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425.16 to even apply to this case as Sonne has falsely

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See Victims original complaint in this case which attaches the transcripts of Sunseris continuous badgering and
excited utterances regarding how Victim was anally gang raped and tortured by Jew hating black Muslims in
prison.
3
Please note,victim in no way enjoyed or reveled in being beaten, raped and tortured by Jew hating black Muslims
as Sunseri, Sonne and the CBA have stated but rather to this day wishes he was dead just so he does not have to
relive and remember every five seconds the horrors of black man prison rape against Jews. It took months
forvictim to get over the horrors Sunseri madevictim relive as she continuously questioned him about the good fun
in Sunseris view of prison rape etc.
MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 2

maintained.

See USA Waste of California, Inc.4 (Waste) and

Graffiti Protective Coatings, Inc.5 (Graffit) which clearly

provide that claims related to due process violations,

intentional false statements, and fraud and deceit for which no

monetary damages or other recompense are requested, are not

covered by Section 425.16 as is the case here.

requesting is that the CBA remove the filthy lies it has

intentionally published on its website which have resulted in

the forced suicide of Victims fianc and young mother,

All Victim is

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humiliation of his children such that two of them are drug

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addicts and the continued destruction of any business relations

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Victim may have had.6

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from the public humiliation and scorn that is surely coming

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(kids are brutal) which resulted in the suicide of the childs

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mother after she was publically humiliated based on the

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intentional lies spewed by the CBA and likes of Sonne to the

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public.

Victim hopes to spare his 9 year old child

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In fact, Graffiti provides the following:

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4

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USA WASTE OF CALIFORNIA, INC., Cross-complainant and Respondent, v. CITY OF IRWINDALE, Cross defendant
and Appellant. 184 Cal.App.4th 53 Court of Appeal, Second District, Division 5, California.
5 GRAFFITI PROTECTIVE COATINGS, INC., et al., Victims and Appellants, v. CITY OF PICO RIVERA,
Defendant and Respondent. 181 Cal.App.4th 1207 Court of Appeal, Second District, Division 1,
California.
6
Not to mention Ms. Morrow of the CBA and Ms. Sunseri , Sonnes apprentice, to this day malevolently and
maliciously broadcast to the business community andvictims associates by contacting them directly and
accusingvictim of being a criminal and stating effectively thatvictim is a lying thieving tax cheat in their attempts to
further destroy his life with the full knowledge that not only wasvictim found not guilty of all the bogus charges
created by the CBA but the tax court has approved all ofvictims tax returns which the liars at the CBA claim are
fraudulent and the tax court has approved tens of millions of net operating loss carryforwards the CBA, Morrow
and Sunseri intentionally falsely state to the world are fraudulent.
MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 3

"Here, even assuming the claims against the City involve a

public issue, we conclude that the City's petition and free

speech rights are not implicated. GPC's claims for a writ of

mandate and declaratory relief are not based on any

communications between the City and others or on any petitioning

activity by the City. Rather, the claims are based on

competitive bidding laws found in the Public Contract Code and

the City's municipal code. Those laws invite competition; guard

against favoritism, improvidence, extravagance, fraud, and

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corruption; and secure the best work at the lowest price

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practicable ... The substance of the City's decision was not

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protected activity."

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As is the case here, Victim is not requesting any relief based


on speech but rather Victim is merely requesting that the life
destroying intentional lies spouted by the CBA be removed from
its website.

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In fact Waste provides the following:


question of whether city land use guidelines validly altered
backfilling standards for a particular landfill was not an issue
of public interest.
As is the case here, Victim is not requesting any relief based
on speech but rather Victim is merely requesting that the life
destroying intentional lies spouted by the CBA be removed from
its website.
Based on these cases alone, Sonnes felonious brief should be
stricken but Sonne takes it one step further and lies in his
brief about what BPC Section 27 states as described below.

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Amazingly (or maybe not when viewed in the context that Sonne
rather give an admitted child rapist his CPA back if the child
rapist says sorry for raping children than give an innocent Jew
back his CPA if he will not apologize for being innocent), Sonne
in drone like Mormon fashion states that the CBA must publish

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 4

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intentional known lies aboutvictim which have resulted in the


death of a young mother and destruction of a family because BPC
Section 27 mandates the CBA do so. This is just another
complete and utter lie by Sonne not to mention BPC Section 27
deals with licenses which Victim did not even have and the
fraudulent action taken by the CBA against Victim did not
involve the revocation of his license as the liar Sonne very
well knows.
Based on the above facts alone, the felonious motion by Sonne
should be stricken and/or denied.
SPECIFIC INTENTIONAL FALSE STATEMENTS BY SONNE IN HIS
MOTION TO STRIKE
1. Page 1, paragraph 3, Sonne falsely states the CBA
revokedvictims CPA license. As Sonne very well
knowsvictims had not practiced as a CPA for over 6 years
and his CPA license expired over 4 years before the CBA
took any action against him based on its intentional false
allegations and merely revokedvictims potential right to
renew his CPA license which likewise did not exist at the
time. This whole exercise is based on a sham decision and
fraudulent facts,victim was not a CPA and had no intention
of ever practicing as a CPA again yet the CBA felt the need
to attack and destroyvictims life based on lies, chicanery
and deceit which has resulted in suicide and drug addiction
byvictims family members and to this dayvictims family
member are harassed and taunted based on the filth spewed
by the CBA aboutvictim on its website (with the CBAs full
knowledge that it is lying).

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2. Page 1, paragraph 3, Sonne falsely states that a decision


onvictims third request for reinstatement had not yet been
denied. This is a complete an intentionally false
statement as Sonne very well knows, the CBA had
deniedvictims third reinstatement request long before
Sonne filed his motion riddled with intentional falsities
and lies.
In fact, Sonne himself has participated in
giving child rapists their CPAs back because they say they
are sorry for raping children and the CBA itself has
allowed over 50 convicted child rapists, rapists, drug

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 5

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dealer, abusers of women, thieves and tax fraudsters to


retain their CPAs if they apologize for their admitted
crimes and promise not to do it again, whilevictim is
continuously denied because he will not apologize for
something he never did based on the intentionally false
lies and allegations purveyed by the CBA which have
directly resulted in the suicide of Jane a young mother and
the fianc ofvictim.

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3. Page 3, paragraph 1, Sonne again falsely claims a decision


had not been rendered onvictims third request for
reinstatement as Sonne very well knew when he made the
false statement. The decision had been made and evidence
will be presented showing Sonne to be the pathetic child
rapist enabling liar that he is.

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4. Page 3, paragraph 2, Sonne falsely states thatvictim is


requesting this court rule his CPA be reinstated, this is
an outright lie by Sonne asvictim is not and has not
requested this court rule his CPA be reinstated.
5. Page 4, paragraph 4, Sonne falsely statesvictim is seeking
monetary damages. As the supporter of Child Rapists Sonne
very well knows,victim is only seeking that the false and
fraudulent actions by the CBA effectively be rescinded
sincevictims civil rights and right to due process were
completely and utterly violated just like the violations
ofvictim in prison by Jew hating black Muslims that Ms.
Sunseri could not stop askingvictim about (apparently
Sunseri, Sonne and the CBA think the anal gang rape by Jew
hating black Muslims againstvictim is exciting and germane
to this case, of course what should anyone expect from a
crew that supports those who rape children).
Further, Sonne falsely suggests throughout his fraudulent
motion riddled with lies that res judicata and/or
collateral estoppel apply here, as he very well knows it
does not,victim is not claiming any direct damages for the
abuses, violations and complete disregard of the laws and
rules by which the CBA is bound not isvictim requesting his
CPA be reinstated (in fact,victim based on his own morals

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 6

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would never want to be part


supports Child Rapists like
requesting the filthy known
by the CBA againstvictim be

of any organization who


the CBA) but rathervictim is
and intentional lies purveyed
stricken from its website.

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6. Page 5, paragraph 1, Sonne falsely claims that CCP 425.16


applies, as Sonne very well knows it cant asvictim is only
requesting here his name and all the known flase
allegations by the Child Rapist supporting CBA be removed
from their filthy website.
Further as described above it is a legal impossibility for
Section 425.16 to apply as the liar Sonne very well knows.
7. Page 6, paragraph 3, Sonne flat out lies here and states
the law requires the CBA to publish information on the
internet aboutvictim the CBA knows are intentional lies by
the CBA notwithstanding such lies to this day result in the
public humiliation ofvictim and his family which have
resulted in the suicide of his fianc and young mother of
his (now motherless child), public scorn of his children
which resulted in two of them becoming drug addicts and the
complete and utter destruction ofvictims career and
business reputation, all based on known intentional lies by
the CBA and the likes of Sonne.

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Sonne cites BPC Section 27 below (to support his false


assertion that he and the CBA are required by law to
broadcast the life destroying lies the CBA has published
aboutvictim):
(a) Each entity specified in subdivisions (c), (d), and
(e) shall provide on the Internet information regarding
the status of every license issued by that entity in
accordance with the California Public Records Act
(Chapter 3.5 (commencing with Section 6250) of Division 7
of Title 1 of the Government Code) and the Information
Practices Act of 1977 (Chapter 1 (commencing with Section
1798) of Title 1.8 of Part 4 of Division 3 of the Civil
Code). The public information to be provided on the
Internet shall include information on suspensions and

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 7

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revocations of licenses issued by the entity and other


related enforcement action, including accusations filed
pursuant to the Administrative Procedure Act (Chapter 3.5
(commencing with Section 11340) of Part 1 of Division 3
of Title 2 of the Government Code) taken by the entity
relative to persons, businesses, or facilities subject to
licensure or regulation by the entity. The information
may not include personal information, including home
telephone number, date of birth, or social security
number. Each entity shall disclose a licensee's address
of record. However, each entity shall allow a licensee to
provide a post office box number or other alternate
address, instead of his or her home address, as the
address of record. This section shall not preclude an
entity from also requiring a licensee, who has provided a
post office box number or other alternative mailing
address as his or her address of record, to provide a
physical business address or residence address only for
the entity's internal administrative use and not for
disclosure as the licensee's address of record or
disclosure on the Internet.

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Nowhere above does it state the CBA can publish known


lies aboutvictim. It is not surprising Sonne, a Mormon,
would make such a robotic type of lie, just like the
Nazis following Hitlers orders, Sonne rather a
convicted admitted child molester be allowed to continue
earning money and molesting children thanvictim an
innocent Jew keep his CPA because he will not apologize
for being innocent.
8. Page 7, paragraph 1, Sonne falsely claimsvictim is
requesting the prior decisions be reviewed. As the
fraudster Sonne who has cheated on his expense reports with
past employers very well knows,victim is not seeking
review of any decision,victim is stating the due process
obligations of the CBA were not followed and completely
disregarded rendering the CBA decision a fraud just like
the child rapist supporter and fraudster Sonne representing
the CBA.
Further, as Sonne very well knowsvictim was
never given the chance to defend the initial decision

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 8

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though requested within 2 months after rendered and the CBA


had the digression to allow the review but refused to do so
because the CBA knew it had lied and violated the law just
like Sonne is doing here.
9. Page 9, paragraph 2, Sonne intentionally falsely states
thatvictim is requesting monetary damages, as Sonne he is
not,victim is seeking to prevent the massive reputational
damages that continue to this day from the intentional
falsities purveyed by the likes of Sonne on the CBA website
which have directly resulted in the suicide of a young
mother, so I guess, Sonne supports killing young mothers
with lies also.
10.
Page 11, paragraph 1, again Sonne falsely claimsvictim
is requesting damages, as the fraudster and child rapist
supporter Sonne very well knowsvictim is requesting nothing
more than the CBA remove its filthy suicide inducing lies
aboutvictim from its website.
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Page 13, paragraph 2, Sonne falsely claims thatvictim
was properly served and lies about the operation of the
law. Sonne summarily concludes thatvictims CPA was merely
expired and thus, he had to notify the CBA of any change of
address (notwithstanding the CBA hadvictims then current
address) but intentionally lies about the fact thatvictims
CPA had been placed in DELINQUENT status and nowhere in
the regulations or statute is any party required to notify
the CBA of a change of address when a CPA is in
delinquent status and therefor the CBA was required to
servevictim personally instead of sending notice to an
address the CBA knewvictim was not at. In fact, because
the CBA knewvictims current address they were on notice
but still chose to violate the law andvictims due process
rights (something the CBA would never do to its beloved
child rapists who apologize for raping children and whom
the CBA helps continue raping children by letting them keep
their CPAs).
Victim apologizes for wasting the courts time on this matter
but notes if Sonne would stop lying this motion would be

MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 9

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unnecessary and respectfully request that the court strikes


Sonnes motion rooted in fraud and false statements.
In effect, all Victim is requesting is that the CBA remove its
known intentional filthy lies from its website to protect
Victims one remaining child who the public has not yet began
harassing though her mother has committed suicide as a direct
result of the filth purveyed by the child rapist supporting and
enabling CBA and the likes of Sonne.

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Of course, maybe the CBA will not be satisfied until Victims


child commits suicide from the public scorn directly emanating
from the intentional known lies and filth spread by the CBA just
like the CBA did to the childs mother.

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Sonne is trying to keep the lies and filth going, I guess he


just wont be satisfied until Katelyn commits suicide like her
mother based on his filthy life destroying lies.

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Respectfully submitted:
DATED: February 23, 2015

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Victim
By:
_____________________
Victim
Pro Per

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MOTION TO STRIKE FALSE STATEMENTS BY CHILD RAPIST SUPPORTER CBA - 10

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