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amgroup01@msn.com

Printed: Saturday, March 24, 2007 11:04 AM

From :

Stan Caterbone <amgroup01@msn.com>

Sent :

Saturday, March 24, 2007 10:43 AM

To :

Senator_Specter@Specter.Senate.gov

CC :

Lisa_Owings@judiciary-rep.senate.gov

Subject :

RE: In Response to your message to Senator Specter

Dear Senator,
I will not accept your explanation or response as satisfactory. I have given you evidence of a
widespread civil and criminal conspiracy, to cover up my Federal False Claims Act complaint
regarding selling arms to Iraq. Now, I notified you of the subject matter back in 1991 or 1992,
during a personal meeting in Columbia, Pennsylvania. You have a statatory duty to at least
refer this matter to someone in authority that can offer me assistance. I had someone attempt
to take my life over these matters before, and you, being a Republican, cannot change your
obligation or duties; you are now privy to these matters.
I have given you enough evidence of Obstruction of Justice (for at least an interview), and
being that Mr. Donald Totaro, the Lancaster County District Attorney was directely inovolved in
these matters in 1987 (with fradulent and dismissed criminal charges), when these incidents
began, (ISC Whistle-Blowing), and given your recent visits to Lancaster County over the past
year, I am urging you to reconsider your position and your lack of willingness to uphold the
rule of law, and your obligations.
You, Senator, took an Oath of Office, and if you do not at least give me an opportunity to
discuss these matters with you or someone else, I will find a way to hold you accoutable for
playing partisian politics. I have been interrogated in Austin Texas, in July of 2005 by 2
Agents for the DOD Defense Intelligence Agency, and will not let this continue. Ever since I
began filing my Federal Civil Action in May of 2005 (052288), it has been a game of law
enforcement engaging in a vigorius campaign to discredit me and my allegations, and most
importantly, they have taken the Anti-SLAPP statutes of RICO to new heights.
I do not accept your reponse, your position, or your patisian politics.
I am begining to think that your staffer, Ms. Lisa Owings, was deliberatly positioned to meet me
outside the Southern Market building before your talk on Crime, a few weeks ago, for some
malicious reason.
I remain,
Stanley J. Caterbone
Advanced Media Group
Stan Caterbone
mailto:
amgroup01@msn.com
www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Advanced Media Group
220 Stone Hill Road
Conestoga, PA 17516

----Original Message Follows---From: <Senator_Specter@Specter.Senate.gov>


To: <amgroup01@msn.com>
Subject: In Response to your message to Senator Specter
Date: Fri, 23 Mar 2007 15:59:10 -0400

Dear Mr. Caterbone :

ADVANCED MEDIA GROUP

Page 16 of 78

03.30.2007

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Thank you for your letter regarding legal matters. Unfortunately, the
function of the Senate is primarily legislative, and we cannot intercede
in matters which are under the jurisdiction of the courts.

While I know that our system of justice can at times be frustrating, I


believe it is the finest system in the world, and I am confident that
justice will eventually be served. In my role as a federal legislator
and as Ranking Member of the Senate Judiciary Committee, I am working to
improve the effectiveness of our system of justice and to ensure that
our system continues to respect the rights of individuals and honor the
rule of law.

I am sorry that I am not in the position to offer individual legal


assistance, but I will keep your concerns in mind when relevant
legislation is considered by the Senate. Should you have any further
questions, please do not hesitate to contact my office or visit my
website at www.specter.senate.gov <http://www.specter.senate.gov/> .

Sincerely,

Arlen Specter

ADVANCED MEDIA GROUP

Page 17 of 78

03.30.2007

Stanley J. Caterbone, Petitioner

IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY,


PENNSYLVANIA
CRIMINAL DIVISION

STANLEY J. CATERBONE

:Docket No.

vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES

ORDER
AND NOW, this __________ day of___________ ,

2007,

the

Above

named Defendants, in part or in whole, shall be issued citations for


violating 18 Pa. C.S.A. 3901 Theft and Related Crimes; and or 3502
Burglary; and or 3503 Criminal Trespass.

The Issuing Authorities shall

file the appropriate citations for the Commonwealth of Pennsylvania.

BY THE COURT:

J.
ATTEST:

Advanced Media Group

Page 1 of 48

November 20, 2007

IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA


CRIMINAL DIVISION

STANLEY J. CATERBONE

:Docket No.

vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES

PETITION FOR REVIEW OF PRIVATE CRIMINAL COMPLAINT


TO THE HONORABLE, THE JUDGES OF THE SAID COURT:
Petitioner, Stanley Caterbone, hereby petitions the court for the review of the
decision issued by Chief County Detective Michael Landis and Brian E. Chudzik, Office of
the Attorney for the Commonwealth issued on November 02, 2007 not to file criminal
charges from the Private Criminal Complaint attached hereto.

BRIEF IN SUPPORT OF PRIVATE CRIMINAL COMPLAINT

1. There is no evidence that the persons that illegally held the property of the
Petitioner and his company Advanced Media Group had any intent of returning
said property in question. This conduct is both criminal trespass 3503 and theft
of property 3901, 3502 as defined in the criminal code of Pennsylvania.
2. It was not until the petitioner and his company Advanced Media Group file an
insurance claim for stolen property with Harleysville Insurance Company that the
Defendants would even acknowledge the Petitioner and his company Advanced
Media Group.
3. The Lancaster County Sheriff Department and Sheriff Thomas Bergman deceived
the Petitioner and his company, Advanced Media Group, on December 29, 2006
Advanced Media Group

Page 2 of 48

November 20, 2007

at the Lancaster County Courthouse by not providing information that would lead
to the return of the property of the Petitioner and his company Advanced Media
Group.
4. Fulton Bank also deceived the Petitioner and his company by not providing
information on several personal visits to the offices at Penn Square in Lancaster
that would have lead the Petitioner and his company to the safe return of the
property.
5. Petitioner and Advanced Media Group alleges that the one motive was to keep
the Petitioners legal files and evidentiary materials from the Petitioner during
litigation in state and federal courts.
6. Both Fulton Bank and the Lancaster County Sheriff Department are key
defendants in pending litigation in the U.S. District Court for the Eastern District
of Pennsylvania case no. 05-2288 and in several Pennsylvania state courts.
7. Evidence and documents prove that the defendants in this private criminal
complaint showed intent in not making good faith efforts to return the property.
8. In addition to the documents provided as part of the private criminal complaint
the Petitioner submits the following letters. Exhibit A is a letter dated March 26,
2007 to Margery Lukens, Claim Representative from Harleysville Insurance
Company. The second letter is dated April 9, 2007 to Parula Properties, of
Akron, Pennsylvania.
9. Parula properties was not named on the original Sheriff Sale of December 20,
2006 as the purchaser of 220 Stone Hill Road, Conestoga, the Petitioners
property in dispute.
10.Harleysville Insurance paid and settled the claim No. MO-705574 for property
stolen and damaged from 220 Stone Hill Road during the dates in dispute.
11.There are still files, evidentiary materials and property that is stolen from the
Petitioner and Advanced Media Group that is central to pending litigation.

Respectfully submitted.

_____________________________

Date: November 20, 2007

Stanley J. Caterbone, Pro Se Litigant


1250 Fremont Street
Lancaster, PA 17603
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Advanced Media Group

Page 3 of 48

November 20, 2007

IN THE COURT OF COMMON PLEAS OF LANCASTER COUNTY, PENNSYLVANIA


CRIMINAL DIVISION

STANLEY J. CATERBONE

:Docket No.

vs.
TONY FREEMAN
NOBLE REAL ESTATE
GREG MILLAN
SHELBY SHEPRO
CENTRAL PENN SERVICES

CERTIFICATE OF SERVICE
I hereby certify that a true and correct copy of the PETITION FOR REVIEW
OF PRIVATE CRIMINAL COMPLAINT has been served this 20th day of November,
2007, by first class mail, Postage prepaid, or by electronic mail upon, or by hand
deliver to:
Brian E. Chudzik
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602
Mr. Michael Landis, Chief Detective
Lancaster County District Attorney
Lancaster County Court of Common Pleas
50 North Duke Street
Lancaster, PA 17602

_____________________________

Date: November 20, 2007

Stanley J. Caterbone, Pro Se Litigant


1250 Fremont Street
Lancaster, PA 17603
amgroup01@msn.com
www.amgglobalentertainmentgroup.com

Advanced Media Group

Page 4 of 48

November 20, 2007

SEE ATTACHED PRIVATE CRIMINAL COMPLAINT

Advanced Media Group

Page 5 of 48

November 20, 2007

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