You are on page 1of 55

MSN Hotmail -

1 of 1

http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=mfI...

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 1 of 55

amgroup01@msn.com

Printed: Friday, March 30, 2007 1:29 PM

From :

Coleen Novak <coleen@nettwerk.com>

Sent :

Friday, July 8, 2005 3:06 PM

To :

"Stan Caterbone" <amgroup01@msn.com>

Subject :

RE: Sarah McLachlan

Hey Stan
Sarah has finished her touring on this album. She was on the road for the last 18 months so
will be taking a well-deserved break. I'll forward this to our agents for any other artists and
for Sarah during the next cylce in 2-4 years.
Thanks very much,
c
At 10:00 AM -0400 7/8/05, Stan Caterbone wrote:
Coleen,
Enclosed are some documents and information that you requested. The Clipper Stadium can
accommodate a max of approximately 14,000 with the stage moved as far away from second base
and toward the back of the outfield. That would include lawn seating and using the field.
The Willie Nelson/Dylan concert used the stage at the closest point to second base.
This stadium is said to be one of the finest minor league parks in the country and was just
opened a few months ago.
I know you have many clients on your list that would be a sell-out here.
You can access the website for the Lancaster Banstormers at:

Too many to name.

http://lancasterbarnstormers.com/
Let me know if you or Sara need anything else as far as the request is concerned.
Stay Safe & Thank You,
Stan

Stan Caterbone, CEO


Advanced Media Group
mailto: amgroup01@msn.com
Website: www.amgglobalentertainmentgroup.com
Fax: (717) 427-1621
Voice Mail: (717) 799-5915
Mailing Address: 220 Stone Hill Road
Conestoga, PA 17516

<br><br><br>----Original Message Follows----<br>From: Coleen Novak


&lt;coleen@nettwerk.com&gt;<br>To: amgroup01@msn.com<br>Subject: Sarah McLachlan<br>Date: Thu, 7
Jul 2005 14:49:22 -0700<br><br>Hi Stan<br><br>I am one of Sarah McLachlan's managers. Just
reaching out with regard to the card you sent her. Can you send a formal request for use of
&quot;World On Fire&quot; for your website? Would this be www.one.org? Also any details about
the Clipper Stadium info would be appreciated.<br><br>Thanks so
much,<br>Coleen<br>--<br>Coleen Novak<br>Nettwerk Management<br>8730 Wilshire Blvd.,
#304<br>Beverly Hills, CA 90211<br>Ph: (310) 855-0668<br>Fx: (310) 855-0674<br>Efax: (310)
388-0803<br>Cell: (917) 861-6309<br>AIM: Coleen212<br>
Attachment
Attachment
Attachment
Attachment

converted:
converted:
converted:
converted:

Macintosh
Macintosh
Macintosh
Macintosh

Sara McLachlan & Clipper Stadium Contract


Advanced Media Group

HD:Lancaster Online.com_#E00CA.pdf (PDF /CARO) (000E00CA)


HD:Lancaster Barnstormer#E00CB.pdf (PDF /CARO) (000E00CB)
HD:Lancaster Barnstormer#E00CC.pdf (PDF /CARO) (000E00CC)
HD:World on Fire Agreement.pdf (PDF /CARO) (000E00CD)

Page 1 of 55

Page 1 of 17

Friday, April 29, 2016

10/08/2007

3/30/2007 1:29 PM

MSN Hotmail -

1 of 1

http://by104fd.bay104.hotmail.msn.com/cgi-bin/getmsg?curmbox=mfI...

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 2 of 55

amgroup01@msn.com

From :

Coleen Novak <coleen@nettwerk.com>

Sent :

Thursday, July 7, 2005 5:49 PM

To :

amgroup01@msn.com

Subject :

Sarah McLachlan

Printed: Friday, March 30, 2007 1:30 PM

Hi Stan
I am one of Sarah McLachlan's managers. Just reaching out with regard to the card you sent
her. Can you send a formal request for use of "World On Fire" for your website? Would this be
www.one.org? Also any details about the Clipper Stadium info would be appreciated.
Thanks so much,
Coleen
-Coleen Novak
Nettwerk Management
8730 Wilshire Blvd., #304
Beverly Hills, CA 90211
Ph: (310) 855-0668
Fx: (310) 855-0674
Efax: (310) 388-0803
Cell: (917) 861-6309
AIM: Coleen212

Sara McLachlan & Clipper Stadium Contract


Advanced Media Group

Page 2 of 55

Page 2 of 17

Friday, April 29, 2016

10/08/2007

3/30/2007 1:31 PM

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 3 of 55

Sara McLachlan & Clipper Stadium Contract


Advanced Media Group

Page 3 of 55

Page 3 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 4 of 55

LICENSE AGREEMENT

THIS LICENSE AGREEMENT (the agreement) is made and entered into this
_______ day of MONTH, YEAR, by and between Lancaster Baseball Club, LLC, a
Lancaster, Pennsylvania limited liability company d/b/a Lancaster Barnstormers
(hereinafter Licensor), PROMOTER NAME. (hereinafter Licensee).

WITNESSETH:
WHEREAS, Licensor leases and operates a sports facility in Lancaster,
Pennsylvania currently known as Clipper Magazine Stadium and, subject to the consent
of the Redevelopment Authority of the County of Lancaster (the owner of Clipper
Magazine Stadium), has the power and authority to license the use thereof to others for
the purpose of holding and presenting certain events; and
WHEREAS, Licensee desires to license the use of the Stadium and its facilities
and adjacent areas from Licensor, and Licensor desires to license the use thereof to
Licensee, for the purpose of holding and presenting a concert with NAME OF
BAND(S)(the Event), all subject to the terms and conditions set forth below.
NOW, THEREFORE, in consideration of the covenants and agreements
contained herein, and intending to be legally bound hereby, the parties agree as follows:
1.

Grant of License; Premises:


Licensor hereby grants to Licensee license to use, and Licensor shall make
available to Licensee, that portion of Clipper Magazine Stadium and its facilities
and adjacent areas as may be necessary for the presentation of the Event,
including the Stadiums field, seating facilities, access areas, public address,
sound systems, corridors, stairways, walks and lavatories in or about the Stadium,
and such other areas or parts of the Stadium as may be necessary for the
presentation of the Event, all upon the terms and conditions set forth herein.
Licensee hereby agrees to, and shall, use the Stadium to hold and present the
Event as contemplated by this Agreement.

2.

Term; Scheduling:
A.

The term of the license granted hereby shall begin on DATE AND TIME
and shall expire on DATE AND TIME (the Term).

B.

In addition to the period set forth in the preceding section, Licensor shall
make the Stadium available to Licensee, without charge, for (i)
preparation of the Event and delivery, move-in and set-up of Licensees
freight and other properties on TIME AND DATE, and (ii) load-out

1
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 4 of 55

Page 4 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 5 of 55

immediately following the conclusion of the Event, ending at a mutually


agreed time but in no event later than TIME AND DATE.
C.

Coordination of any and all deliveries for the Event will be the
responsibility of Licensee. If load-out shall run beyond the mutually
agreed upon time, Licensee shall be liable for any additional expenses
incurred by Licensor, including, but not limited to, payments to union
labor, if applicable.

D.

Licensor and Licensee agree that the Event shall be held Rain or shine;
provided, however, that is Licensor reasonable believes rain or other
inclement weather is likely to present a hazard or danger to patrons,
Licensor shall advise Licensee thereof, and the Event shall be cancelled
(unless the parties mutually agree to postpone the Event to another date).
In the event of any cancellation of the Event due to the foregoing,
Licensee shall pay to Licensor an amount to cover any and all
Reimbursable Expenses (defined in Section 6B) incurred by Licensor in
preparation for the Event. In the event of thunderstorms at the time of the
Event, the Event shall be delayed until such thunderstorms have passed.

3.
Duties of Licensee: In connection with the presentation of the Event, Licensee
shall provide (or cause to be provided) and pay for the following:
A.
(1)

All participants and staff required for the proper presentation of the
Event, including, but not limited to, set-up and take-down
personnel, together with Workers Compensation Insurance with
respect to such personnel;

(2)

All tangible items of property necessary for the proper presentation


of the Event, including, but not limited to, all production
equipment, stage and all other materials and supplies necessary for
a concert.

B.

All ASCAP, BMI and licenses required for the use of copyrighted or
licensed music in connection with the presentation of the Event, and all
other licenses or permits required in connection with the use of the
Stadium for the Event, all of which licenses and permits shall be procured
by Licensee prior to commencement of the Term and presented to
Licensor upon request;

C.

The advertising, promotion and publicity campaign necessary and


desirable to promote the Event; and

D.

Fifty complimentary tickets to the Event, which Licensor may use in its
discretion.

2
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 5 of 55

Page 5 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 6 of 55

4.

5.

Duties of Licensor: In connection with the presentation of the Event, Licensor


shall provide, or cause to be provided, the following (the costs of which shall be
borne by Licensee, except as otherwise expressly provided below):
A.

At Licensors cost, use of the Stadium, public address systems and such
other parts or areas of the Stadium as may be necessary for Licensee to
present and produce (if applicable) the Event;

B.

Electricity and other utilities for lighting, heating, air conditioning and
other services used in conjunction with the Event and the set-up and
removal related thereto, as customarily provided for baseball events;

C.

Cleaning and janitorial service during and after the Event;

D.

All necessary support services (as determined by Licensor in its sole


discretion), including, but not limited to, all ancillary staff necessary to
hold the Event at the Stadium (other than those being provided by
Licensee pursuant to Section 3A(1) above), including ushers, doormen,
emergency medical technicians, security personnel and parking attendants;
and

E.

Additional items, personnel, and services, other than those set forth above,
which Licensee requests to be provided in connection with the Event and
which Licensor is reasonable able to provide, such as stagehands for setup, take-down and productions, additional production requirements, and
lighting and/or sound equipment other than the current sound or lighting
system in the Stadium used for baseball events, all of which shall be
subject to the approval of Licensor and shall be provided at additional cost
to Licensee.

Marketing and Advertising; Sponsorships:


A.

Licensee, at its expense, shall provide the necessary personnel to, and shall
use its reasonable best efforts to, market and promote the Event. Licensor
agrees to assist Licensee in marketing and promoting the Event by
providing in-Stadium advertising of the Event prior to the Event.

B.
(1)

Other than the in-Stadium advertisements provided by Licensor as


set forth in Section 5A above, all advertisements for the Event
shall be developed by Licensee (including, but not limited to, all
advertising, publicity and promotions material, press releases,
poster, flyers and handbills) and shall be produced at the sole cost
and expense of Licensee.

3
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 6 of 55

Page 6 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 7 of 55

(2)

Without the prior written approval of Licensor, which approval


may be withheld in Licensors sole discretion, Licensee shall not
permit any commercial banner, signage, advertisement or
promotional announcement to be posted or made within the
Stadium. In the event Licensee approves any in-Stadium banner,
signage or advertisement, the exact location of any such signage or
advertisement shall be subject to the approval of Licensor, and
shall not interfere with, cover up, or obscure any pre-exiting
signage in the Stadium.

(3)
(I)
Subject to the provisions of Section 5B(2) and Section
5B(3)(ii), Licensee shall have the right to sell sponsorships for the Event.
All revenues generated from the sale by Licensee of such sponsorship
shall be retained by Licensee, provided that all such sales shall be subject
to the prior written approval of Licensor.
(ii)
Each advertising or promotional agreement which Licensee
enters into with a third party (a Third Party Agreement)
respecting in-Stadium signage shall include a provision requiring
termination or preemption thereof in the event that any provisions
thereof conflict with any obligations of Licensor in any agreement
now or hereafter entered into between Licensor and an advertiser
requiring exclusivity in the advertisement or sponsorship of any
product or service which is the subject of such Third Party
Agreement. Licensee shall provide a written list of existing
sponsors upon execution hereof and (if applicable) at least thirty
(30) days prior to the commencement of the Term. In the even
Licensor requires termination or redemption of such Third Party
Agreement, Licensor shall give Licensee five (5) days prior written
notice thereof, and such termination or preemption shall be
effective upon Licensors delivery of such notice.
(4)

Licensee shall make mention of the name Clipper Magazine


Stadium as the site of the Event in connection with any
advertising or promotion thereof. All promotional materials shall
contain the standard Clipper Magazine Stadium name. However,
Licensor must approve all such uses of the Clipper Magazine
Stadium name prior to dissemination of any promotional materials,
which approval shall not be unreasonable withheld or delayed.

(5)

All advertisements for the Event presented by Licensee pursuant to


the provisions of this Agreement (including, but not limited to, all
advertising, publicity and promotions material, press releases,
posters, flyers, handbills and radio and television commercials)
shall be submitted by Licensee to Licensor for its prior approval
before use.

4
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 7 of 55

Page 7 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 8 of 55

6.

License Fee:
A.

In consideration of the license granted hereby and Licensors agreement to


provide the items set forth in Section 4 hereof, Licensee shall pay Licensor
the following (collectively, the License Fee):
(1)

A fee of Gross Proceeds (as defined below) as follows:


Gross Proceeds

Fee to Licensor

All tickets sold, base rental fee


On a per ticket sold basis

$3.00 per ticket sold

ENTER TIX SELLING PRICES AND OPTIONS


The term Gross Proceeds as used herein means gross proceeds from the
fees charged for admission to the Event.
(2)

Reimbursable expenses of Licensor as listed in Sections 4B


through 4E, inclusive, and elsewhere in this Agreement
(collectively, the Reimbursable Expenses).

B.

At the conclusion of the Event, Licensor and Licensee shall conduct a


preliminary settlement respecting all items of income and expense which
are subjects of this Agreement. At said settlement, Licensee and Licensor
shall preliminarily account to the other for all income items received by
each as of such date and shall make payment to the other (if applicable) of
any and all sums due to the other in accordance with this Section 6, except
kids under 3 years of age. A final settlement shall be made by the parties
within seven (7) business days following the expiration of the Term.

C.

Licensee acknowledges that use of all Suites and other Premium Seating
areas of the Stadium (including the picnic, hospitality and VIP areas of the
Stadium) are not hereby licensed to Licensee. Licensor hereby grants
complimentary tickets to all 22 skybox holders. Licensor agrees not to use
picnic area. Licensor will have the opportunity to sell other premium
seating in suite level.

D.

Licensee shall pay Licensor the License Fee and any and all additional
fees due hereunder without abatement, deduction or set-off. Licensor
may, at its election, collect all or any part of the License Fee due
hereunder out of the receipts of fees charged for admission, but whatever
source, or concessions provided by or on behalf of Licensor, and Licensor
shall have a first lien upon and security interest in such receipts to the

5
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 8 of 55

Page 8 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 9 of 55

extent of any amount required to be paid to Licensor by Licensee


hereunder.
7.

Licenses:
Licensee shall secure in advance, prior to commencement of the Term, (a) all
licenses and permits that may be required by or in connection with the use of the
Stadium for the Event and (b) all licenses required by any performing arts
societies, such as ASCAP and/or BMI, for music or other works to be utilized or
displayed in connection with the Event. Licensee shall do all other acts necessary
to comply with all laws and requirements of all public authorities and all rules and
regulations of Licensor in connection with the presentation of the Event.

8.

9.

Concessions; Merchandising:
A.

Licensor specifically reserves to itself and its concessionaires the right to


sell, and the right to retain proceeds from the sale of refreshments and
beverages, parking privileges and all other concessions at the Event.

C.

Licensee will pay Licensor 20% of the net sales for selling Licensees
merchandise, including but not limited to: clothing, CDs, programs, and
other souvenirs. Any sales tax is the responsibility of the Licensee.

Broadcasting:
Without the prior written approval of Licensor, which approval shall not be
unreasonably withheld or delayed, Licensee shall not in any manner transmit,
record or videotape or otherwise reproduce or disseminate any part of, or a
description of any part of, the Event (including, but not limited to, radio,
television, cable television, commercial television, closed circuit television and/or
pay television, video disc or phonograph recording).

10.

Insurance:
A.

Licensee shall obtain, at its own cost and expense, commercial general
liability insurance in the name of Licensee which shall insure all
operations of Licensee contemplated by this Agreement and the
contractual assumption of liability reflected by this Agreement. Such
insurance shall be written with a limit of at least One Million Dollars
($1,000,000.00) per occurrence combined single limit for bodily injury
and property damage liability, personal injury liability and coverage for all
acts and/or omissions of Licensee. Such insurance shall be endorsed to be
primary as respects claims out of Licensees negligence to and not
contributory with any coverage of Licensor, Lancaster Barnstormers or the
City of Lancaster, Pennsylvania which may be applicable to the claim.
Licensee shall also cause the required policy of insurance to include

6
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 9 of 55

Page 9 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 10 of 55

Licensor, Lancaster Barnstormers and the Redevelopment Authority of the


County of Lancaster as additional insureds with respect to the operations
and obligations contemplated by this Agreement.

11.

B.

Licensee shall also maintain, at its own cost and expense, Workmans
Compensation Insurance in respect of its players, performers and other
employees whose services are contemplated by this Agreement.

C.

Certificates evidencing insurance required pursuant to this Section 10 shall


be provided to Licensor not less than ten (10) days prior to
commencement of the Term. The policies shall also provide, and the
certificate shall so note, that the coverages may not be canceled or that a
major change in coverage may not be implemented without at least thirty
(30) days prior written notice given to Licensor.

D.

LICENSOR SHALL HAVE THE ABSOLUTE RIGHT TO TERMINATE


THIS AGREEMENT UPON WRITTEN NOTICE TO LICENSEE IF
LICENSEE DOES NOT DELIVER TO LICENSOR THE CERTIFICATE
OR CERTIFICATES OF INSURANCE REQUIRED HEREUNDER. IN
THE EVENT OF SUCH TERMINATION BY LICENSOR, THERE
SHALL BE NO FURTHER LIABILITY OF ANY KIND OR NATURE
WHATSOEVER BY LICENSOR TO LICENSEE, AND LICENSOR
SHALL RETAIN THE RIGHT TO PROCEED WITH A LEGAL
ACTION AGAINST LICENSEE TO RECOVER ANY AND ALL
DAMAGES AND/OR LOSS OF PROFITS SUSTAINED BY
LICENSOR BY REASON OF LICENSEES DEFAULT HEREUNDER.

E.

In the event that Licensee fails to procure and present the aforesaid
insurance, Licensor shall have the right, but not the obligation, to do so on
Licensees behalf and at Licensees expense and shall be entitled to
reimbursement for the costs thereof as part of the License Fee due and
payable hereunder.

F.

None of Licensor or its officers, partners, employees or agents shall be


responsible or liable for any loss or damage to the personal property of
Licensee or its employees, players, performers or agents in connection
with its use of the Stadium hereunder.

Indemnity:
A.

Licensee shall indemnify, defend and hold harmless Licensor,


Redevelopment Authority of the county of Lancaster and the County of
Lancaster and each of their affiliates and each of their officers, agents and
employees from and against (i) any and all losses, costs, expenses

7
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 10 of 55

Page 10 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 11 of 55

(including, but not limited to, attorneys fees), damages and liabilities
arising out of or in connection with any breach by Licensee of any of its
representations, warranties, covenants or agreements contained herein and
(ii) any and all losses, injuries or damages to any person or any property
arising out of or sustained in connection with the exercise of the privileges
herein granted or the provision by Licensor of materials, equipment or
services in connection therewith, except for any and all losses, expenses,
costs, damages and liabilities arising out of Licensor, Redevelopment
Authority of the county of Lancaster and Lancaster Countys negligence.

12.

B.

Licensor makes no warranty or representation to Licensee of any kind


(express or implied) regarding the suitability of or compliance with
applicable laws by the Stadium, or any portion thereof, as built, for any
aspect of the use Licensee expects or intends to make of the Stadium.
Accordingly, Licensee acknowledges and agrees that it has made an
adequate investigation and inspection of the Stadium and has made its
own determination regarding the suitability of the Stadium for Licensees
proposed use and is satisfied with the condition, fitness and order thereof.
Licensee further agrees that the Stadium shall be delivered by Licensor to
Licensee AS IS, WHERE IS and WITH ANY AND ALL FAULTS
and without warranty, express or implied, as to the merchantability or
fitness for the use thereof for any particular purpose. Licensee hereby
waives any claims against Licensor and the Redevelopment Authority of
the County of Lancaster and their affiliates and their respective officers,
agents and employees for defects in the Stadium, including latent defects.
Commencement of the use of the Stadium by Licensee shall be conclusive
that the Stadium was in good repair and satisfactory condition, fitness and
order when such use commenced.

C.

Licensor and its affiliates, and their respective officers, agents and
employees, shall not be liable to Licensee, and Licensee waives all claims
against such parties, for injury, death, or damage to person or property
sustained by Licensee or any person claiming through Licensee resulting
from any condition, accident or occurrence in or upon the Stadium or any
other part of the Stadium, except for any and all claims arising out of
Licensors and its affiliates negligence.

D.

This Section 11 shall survive any termination or expiration of this


Agreement.

Admission:

8
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 11 of 55

Page 11 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 12 of 55

During the Term hereof, all admittance into the Stadium shall be by general
admission and, subject to any and all use and occupancy restrictions imposed by
the Redevelopment Authority of the County of Lancaster and its applicable
agencies, patrons will be granted admission to the Stadium only upon payment of
an admission fee to Licensee. Licensee and Licensor shall mutually agree on the
price of admission. Licensee shall be solely responsible for collecting the
admission fees and shall serve as the custodian of record for the admission fees.
Upon any cancellation of the Event for any reason, Licensee shall be responsible
for refunding any admission fees paid in advance.
13.

Remedies Upon Breach:


In the event any party fails to perform any of its obligations herein, the nonbreaching party shall give the breaching party notice in writing of such breach. If
the breaching party shall not cure said breach within ten (10) days after receipt of
notice if a monetary breach, or within thirty (30) days after receipt of notice if a
breach of any other nature, the non-breaching party, at its option , shall have the
right to (i) cancel this Agreement by giving five (5) days written notice thereof to
the breaching party, (ii) sue the breaching party for legal or equitable relief,
and/or (iii) pursue any other remedy allowed hereunder or under applicable law;
provided, however, in the event thee non-breaching party may suffer irreparable
harm as a result of the breaching partys breach, then it shall not be required to
give written notice to the breaching party, or to wait any period of time before
pursuing any remedies hereunder or under applicable law.

14.

Minors; Foreign Nationals:


In the event that any minor or foreign national is scheduled to appear in the Event
which is the subject of this Agreement, Licensee shall, in advance of such Event,
obtain all necessary Employment Certificates and other permits and
authorizations as may be required by any governmental authority.

15.

Compliance With Laws:


A.

Licensee shall abide by, conform to and comply with, and shall cause
every person under its direction or control who is connected with the
performance of any aspect of this Agreement to fully abide by, conform
to and comply with all applicable laws, rules, regulations and ordinances
of the United States of America, the State of Pennsylvania, Lancaster
County, City of Lancaster, and their respective agencies, as well as all
rules and regulations of Licensor for the use, occupancy and operation of
the Stadium. If Licensee is controlling any sale or distribution of tickets
or is charging an admission fee, Licensee will comply with all federal,
state or municipal laws, statues, ordinances or regulations relating to the
payment of or taxes or charges on tickets, admissions or reservation, and
make returns and pay all such taxes or charges immediately when due, and

9
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 12 of 55

Page 12 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 13 of 55

indemnify Licensor against all liability, claim, loss or payment of any kind
by reason of Licensees failure or omission to comply with any such law
or regulation and/or to pay all or any taxes or charges.

16.

B.

Licensee shall not use or attempt to use any part of Stadium for nay use or
proposed use which would be contrary to law, common decency or good
morals or otherwise improper or detrimental to the reputation of Licensor.

C.

Licensee agrees not to discriminate against any employee or any applicant


for employment for any reason prohibited by law, and further agrees not to
discriminate against any person relative to admission, services or
privileges offered to or enjoyed by the general public for any reason
prohibited by law.

Restrictions On and Further Obligations of Licensee:


A.

Licensee agrees not to do any act or suffer any act to be done during the
Term of this Agreement which shall mar, deface or injure any part of the
Stadium; and upon expiration of the Term, Licensee shall deliver up to
Licensor the premises aforesaid in as good condition and repair as the
same be found at the beginning of the Term, excepting usual wear and
tear. Any repairs necessary to the field shall be made by Licensor (under
the supervision and direction of Licensor) immediately following the
Event, at the sole cost of Licensee.

B.

If Licensee brings into the Stadium any additional displays, props,


decorations, material or other personal property, it must fully comply with
the Fire Code of Lancaster City, i.e., all wiring on booths or display
fixtures must meet the rules and standards of the applicable Board of Fire
Underwriters and Fire Department. Among other precautions, cloth, paper
decorations, pipe boughs, leaves, tree branches and all other decorations
must be flameproofed. Use of combustible material is forbidden.

C.

(1)

Licensee understands that approval from the Fire Marshalls Office


and a Permit from the Department of Licenses and Inspections
must be obtain before bringing into the Stadium explosives,
gasoline, kerosene, acetylene or other fuel or combustibles. Such a
permit shall be submitted for review to Licensor upon receipt and
prior to the commencement of the Term.

(2)

Licensee understands that the fire fighting equipment in the


Stadium, such as fire extinguishers and fire hose cabinets and exits,
shall not be covered or concealed in any manner whatsoever from
public view or access.

Licensee shall use the Stadium in a safe and careful manner.

10
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 13 of 55

Page 13 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 14 of 55

D.

(1)
Licensor and its authorized representatives shall have the right at
all times to enter upon and have access to the Stadium.
(2)
A duly authorized representative of Licensee shall be in attendance
at the Stadium when doors are opened and throughout the event scheduled
hereunder. Licensee shall provide all of its representatives and working
personnel to be admitted to any part of the Stadium with distinctive, visual
identification which shall be approved by Licensor prior to the
commencement of the Term.

17.

E.

In licensing the use of the Stadium to Licensee, it is understood that


Licensor does not relinquish the right to control the management thereof
and to enforce all necessary rules and regulations. The decision of
Licensors representatives as to be the number of persons that can safely
and freely move about in the Stadium shall be final.

F.

All portions of the sidewalks, entries, doors, passages, vestibules, halls,


corridors. Stairways, passageways and all ways of access to public utilities
of the Stadium shall be kept unobstructed by Licensee and not used for
any other purpose other than ingress or egress.

Miscellaneous:
A.

This Agreement (including any and all exhibits hereto) reflects the entire
agreement between the parties respecting the subject matter hereof and
supersedes any and all prior agreements, understandings or commitments,
written or oral, between the parties hereto. This Agreement may only be
modified or amended by a subsequent written agreement signed by both
parties hereto.

B.

Notices by Licensor and Licensee to each other shall be deemed duly


given if (i) delivered personally with a signed receipt evidencing such
delivery, (ii) transmitted by telecopier with confirmation of transmission.
(iii) mailed by certified mail, return receipt requested, postage prepaid, or
(iv) delivered by duly recognized air courier service to the following
addresses:

Licensee:

NAME
ADDRESS
CITY, STATE, ZIP CODE
CONTACT
Fax:

11
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 14 of 55

Page 14 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 15 of 55

Licensor:

Lancaster Barnstormers
Clipper Magazine Stadium
PO Box 4728
650 North Prince Street
Lancaster, PA 17603
Attn: Joe Pinto, General Manager
Fax: (717) 509-4486

C.

This Agreement may be transferred or assigned by Licensee provided the


assignee agrees, in writing, to be bound by all of the provision hereof.

D.

The relationship between Licensor and Licensee is that of independent


contractors and not agents or employees. Under no circumstances shall
this license be considered a contract of partnership or joint venture.
Neither party shall be liable for any of the debts, accounts, obligations or
other liabilities of the other party, its agents or employees, and neither
party shall have any authority to obligate or bind the other party in any
manner except as may be expressly provided herein.

E.

Subject to the provisions of Section 2E. above:


(1)

If any event occurs whereby Licensors performance hereunder is


materially hampered, whether before or during the Term, as a
result (wholly or in part) of any cause not entirely within
Licensors control and which it could not by reasonable diligence
have avoided, such as destruction or damage to the Stadium or
unfitness of the Stadium for occupancy as a result of fire or other
Act of God, riot, labor strike, national or local emergency, calamity
or other cause entirely within Licensors control (each Licensor
For Majeure), Licensors performance under this Agreement shall
be suspended for the period of the Licensor for the affected period
without any further liability or obligation on the part of the
Licensor which arises out of suspension.

(2)

If any event occurs whereby Licensees performance hereunder is


materially hampered, whether before or during the Term, as a
result (wholly or in part) of any cause not entirely within
Licensees control and which it could not by reasonable diligence
have avoided (each a Licensee Force Majeure), then, without
limiting Licensors rights as a result of the occurrence of the
Licensee Force Majeure, Licensor shall have the option, without
liability, to suspend the engagement for the Event for the duration

12
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 15 of 55

Page 15 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 16 of 55

of such Licensee Force ajeure, by giving Licensee written notice


thereof.
(3)

Upon removal or cessation of the Licensor Force Majeure or


Licensee Force Majeure, as applicable, the parties respective
rights and obligations hereunder shall be reinstated.

F.

This Agreement is entered into in the State of Pennsylvania and, in event


of any controversy or litigation, shall be governed by and construed in
accordance with the laws of the State of Pennsylvania, without regard to
its principles of conflicts of laws.

G.

No waiver shall be effective unless in writing and executed by the [arty to


be charged with such waiver. No waiver shall be deemed a continuing
waiver in respect of any subsequent breach or default, whether or similar
or dissimilar nature, unless expressly so stated in writing.

H.

The invalidity or unenforceability of any particular provision of this


Agreement shall not affect the other provisions hereof, and this Agreement
shall be construed in all respects as if such invalid or unenforceable
provision were omitted.

I.

Any headings preceding the text of the several sections, paragraphs or


subparagraphs hereof are inserted solely for convenience of reference and
shall not constitute a part of this Agreement, nor shall they affect its
meaning, construction or effect.

J.

This Agreement may be executed in multiple counterparts, each of which


shall be deemed an original but together shall constitute one and the same
instrument.

K.

Licensee represents and warrants to Licensor that it has the full right,
power and authority to enter into and perform this Agreement.

L.

This Agreement and Licensees rights hereunder shall be subject in all


respects to the approval of the Redevelopment Authority of the County of
Lancaster.

13
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 16 of 55

Page 16 of 17

Friday, April 29, 2016

10/08/2007

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 17 of 55

IN WITNESS WHEREOF, the parties hereto have duly executed this


Agreement the day and year first above written.
Licensee:
PROMOTER NAME
By: _______________________________
Name: _____________________________
Title: ______________________________
Licensor:
Lancaster Barnstormers
By: _______________________________
Name: Joe Pinto
Title: General Manager, Lancaster Barnstormers

14
Sara McLachlan & Clipper Stadium Contract
Advanced Media Group

Page 17 of 55

Page 17 of 17

Friday, April 29, 2016

10/08/2007

Stan Caterbone/Advanced Media Group - Launch2016

https://launch2016.sched.org/stancaterboneadvancedmediagroup?utm_m...

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 18 of 55

Schedule or People

Sara McLachlan & Clipper Stadium Contract


1 of 1

Page 18 of 55

Friday, April 29, 2016


4/20/2016 6:39 AM

Ticketmaster Confirmation Print Receipt

1 of 1

https://www.ticketmaster.com/h/print_popup_ccp.html

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 19 of 55

Sara McLachlan & Clipper Stadium Contract

Page 19 of 55

Friday, April 29, 2016


4/20/2016 6:31 AM

Ticketmaster Member Services - Order History

https://www.ticketmaster.com/member/order_history?v=Ebc5EsgXwMD...

Case 5:15-cv-03984-JCJ Document 45 Filed 04/29/16 Page 20 of 55


Search Artist, Team, or Venue
Greater Philadelphia Area
Music

Sports

My Account

Stans Account

Arts & Theater

Family

View All Orders

VIP

Help

Deals

Order Details

Welcome,

Order #69-12653/PHI

Print Receipt

Stan
Edit Profile | Sign Out

VIP Badge: Launch Music Conference & Festival

Account Settings

Freedom Hall / Lancaster Co. Convention Center, Lancaster, PA


Thu, Apr 21, 2016 12:00 AM - Sat, Apr 23, 2016 12:00 AM

Edit Email & Mobile Preferences

Details: Launch Music Conference & Festival

Update Your Favorites


Update Your Event Categories
Payment Options
Gift Card Balance
Orders
View All Orders
Get Your Tickets

Your Tickets
Your tickets are being held at the venue's box office for pick up day of the event.
Present your photo ID and the credit card you used for purchase at the time you pick up your tickets. Will Call pick up varies by venue &
event but is usually available 90 minutes prior to the start time of the event.

Transfer Tickets
Print Receipt
Auctions
Current Auction Bids
Questions About Your Order?

VIP Badge: Launch Music


Conference & Festival

Phase 4 Pricing
Section GA

US $97.95
Price Details

US $97.95

Freedom Hall / Lancaster Co.


Convention Center, Lancaster, PA
Thu, Apr 21, 2016 12:00 AM - Sat, Apr
23, 2016 12:00 AM

We're here for you.


Help

Order Date

Chat

Apr 20, 2016

Tickets/Items Subtotal
Order Processing Fee
Will Call

Billing Info.
STANLEY CATERBONE
1250 FREMONT STREET, LANCASTER, PA 17603

Our Network

Total

Payment Info.

Amount

MasterCard ************7232

US $101.50

Friends & Partners

We're Here to Help

Live Nation

Your Account

House of Blues

Transfer or Sell Tickets

TicketWeb

Print Tickets

TicketsNow

FAQs

Eventjoy

ScoreBig

US $97.95
US $3.55
No Charge

US $101.50

Download our Apps

Refunds and Exchanges

universe

Get Help

NFL Ticket Exchange

Retail Outlets

NBATICKETS.com

Custom Tickets

NHL Ticket Exchange

Gift Cards

By continuing past this page, you agree to our terms of use.

Who We Are // Insider // Privacy Policy // Work With Us // Across the Globe // Site Map

Sara McLachlan & Clipper Stadium Contract


1 of 1

Page 20 of 55

1999-2016 Ticketmaster. All rights reserved.

Friday, April 29, 2016


4/20/2016 6:48 AM

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page21
1 of 6
55

Stan J. Caterbone
ADVANCED MEDIA GROUP

Freedom From Covert Harassment & Surveillance,


Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

April 20, 2016

Stan J. Caterbone/Advanced Media Group Biography


Present - Advanced Media Group, President, Owner, and Founder.
In 1987 I became a federal whistleblower for the case of local defense contractor International Signal
and Control, or ISC. ISC was a black ops program for the NSA and CIA that was convicted in 1992 for
an elaborate scheme to arm Iraq and other Middle Eastern countries with a broad array of weapons,
most notably cluster bombs. It was the third larges fraud in U.S. History at that time. I have been a
victim of organized stalking since 1987 and a victim of electronic and direct energy weapons since 2005.
I had also been telepathic since 2005. In 2005 the U.S. Sponsored Mind Control turned into an all-out
assault of mental telepathy; synthetic telepathy; hacking of all electronic devices; vandilism and thefts
of personal property, extortions, intellectual property violations, obstruction of justice; violations of due
process; thefts and modifications of court documents; and pain and torture through the use of directed
energy devices and weapons that usually fire a low frequency electromagnetic energy at the targeted
victim. This assault was no coincidence in that it began simultaneously with the filing of the federal
action in U.S. District Court, or CATERBONE v. Lancaster County Prison, et. al., or 05-cv-2288. This
assault began after the handlers remotely trained/sychronized Stan J. Caterbone with mental telepathy.
The main difference opposed to most other victims of this technology is that I am connected 24/7 with
the same person who declares telepathically she is a known celebrity. Over the course of 10 years I
have been telepathic with at least 20 known persons and have spent 10 years trying to validate and
confirm their identities without success. Most U.S. intelligence agencies refuse to cooperate, and the
Federal Bureau of Investigation and the U.S. Attorney's Office refuse to comment and act on the
numerous formal complaints that are filed in their respective offices. Most complaints are focused on
the routine victimization's of a targeted individual including but not limited to stalking, harassment,
threats, vandalism, thefts, extortion, burglaries, false imprisonments, fabricated mental health warrants
or involuntary commitments, pain and torture to the body, and most often the cause of obstruction of
justice is the computer hacking.
I have a very sophisticated and authentic library of evidence of the use of U.S. Sponsored Mind Control
technologies on my father and brother that dates back to the 1940's while my father was in the U.S.
Navy after he graduated with honors from Air Gunners School in Florida, including an affidavit motorized
and authenticated by my father in 1996. My brother served in the U.S. Air force and was victim to LSD
experiments of the infamous MKULTRA program in the late 1960's.
In 2015 I filed an amicus curie on behalf of Lisa Michelle Lambert who was convicted in 1992 of the
murder of Laurie Show, both of Lancaster, Pennsylvania. I currently am in litigation in the U.S. Third
Circuit Court of Appeals and in February of 2016 Lisa Michelle Lambert published her book titled
Corruption in Lancaster County My Story, which is available in bookstores and on Amazon.com. I
am in frequent contact with her co-author, Dave Brown of Philadelphia, Pennsylvania.

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 121ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page22
2 of 6
55

In 2009 I Proposed an ORGANIZED STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT BILL
to Pennsylvania House of Representative Mike Sturla (Lancaster, Pennsylvania) and City of Lancaster
Mayor Richard Gray in 2009. The draft legislation is the work of Missouri House of Representative Jim
Guest, who has been working on helping victims of these horrendous crimes for years. The bill will
provide protections to individuals who are being harassed, stalked, harmed by surveillance, and
assaulted; as well as protections to keep individuals from becoming human research subjects, tortured,
and killed by electronic frequency devices, directed energy devices, implants, and directed energy
weapons. I again reintroduced the bill to the Pennsylvania General Assembly in 2015 and frequented
the Pennsylvania Capitol trying to find support and a sponsor; which I still do to this day.
In 2006 I began his role as an Activist Shareholder for Fulton Financial, which is listed as "FULT" on the
NASDAQ stock exchange. As a founder of Financial Management Group, Ltd., a full service financial firm,
Stan J. Caterbone has drawn upon the success in developing the strategic vision for his company and
the experience gained in directing the legal affairs and public offering efforts in dealing with Fulton
Financial. I have been in recent discussions with the Fulton Financial Board of Directors with regards to
various complaints dealing with such issues as the Resource Bank acquisition and the subprime failures.
I believe that Fulton Financial needs management to become more aggressive in it's strategic planning
and the performance it expects from it's management team in order to increase shareholder value.
Expanding the footprint of the regional bank has not yielded an increase to the bottom line that is
consistent with the expectations of shareholders. Lancaster County has seen several local banking
institutions acquired by larger regional banks, thus increasing the competition Fulton Financial will see in
it's local marketplace as well as in it's regional footprint.
In 2005 I, as a Pro Se Litigant filed several civil actions as Plaintiffs that are in current litigation in the
United States District Court for the Eastern District of Pennsylvania, the United States Third District
Court of Appeals, the Pennsylvania Supreme Court, The Pennsylvania Superior Court, the
Commonwealth Court of Pennsylvania, The Court of Common Pleas of Lancaster County, Pennsylvania.
These litigations include violations of intellectual property rights, anti-trust violations, and interference
of contracts relating to several business interests. Central to this litigation is the Digital Movie, Digital
Technologies, Financial Management Group, Ltd,/FMG Advisory, Ltd., and its affiliated businesses along
with a Federal False Claims Act or Federal Whistleblowers Act regarding the firm of International Signal
and Control, Plc., (ISC) the $1Billion Dollar Fraud and the Export violations of selling arms to South
Africa and Iraq. This litigation dates back to 1987. Stan J. Caterbone was a shareholder of ISC, and was
solicited by ISC executives for professional services. The Federal False Claims Act is currently part of
RICO Civil Complaint in the United States District Court for the Eastern District of Pennsylvania and the
Third Circuit Court of Appeals, as docket no. 05-2288.
In 2005 Advanced Media Group/Project Hope filed a Civil Action in the Court of Common Pleas of
Lancaster County against Drew Anthon and the Eden Resort Inn for their attempts to withhold the
Tourism Tax and Hotel Tax that supports the Downtown Lancaster Convention Center & Marriot. We also
proposed an alternative plan to move the Convention Center to the Hotel Brunswick and Lancaster
Square to all of the major stakeholders. The Lancaster County Convention Center is finally under
construction with a March 2009 Opening date.
In 2005 I was selected to attend the Clinton Global Initiative in New York City after submission of
an essay with and application. I received the invitation from Bruce R. Lindsey, Chief Executive Officer of
the William J. Clinton Foundation.
In 2005 I began our philanthropic endeavors by spending our energies and working with such
organizations as; ONE.org, Livestrong.org, WoundedWarriors.org, The Clinton Global Initiative,
Lancaster Convention Center Authority, Lancaster Chamber of Commerce, Toms Project Hope, People to
People International, GlobalWarming.org, Contact Lancaster/24 Hour Suicide Hotline, Schreiber Pediatric
Center, and numerous others.

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 222ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page23
3 of 6
55

In 2004 I embarked on our past endeavors in the music and entertainment industries with an emphasis
on assisting for the fair and equitable distribution of artists rights and royalties in the fight against
electronic piracy. We have attempted to assist in developing new business models to address the
convergence of physical and electronic mediums; as it displaces royalties and revenues for those
creating, promoting, and delivering a range of entertainment content via wireless networks.
In 2000 to 2002 I developed an array of marketing and communication tools for wholesalers of the
AIM Investment Group and managed several communication programs for several of the company
wholesalers throughout the United States and Costa Rica. We also began a Day Trading project that
lasted until 2004 with success.
In 1999 I developed a comprehensive business plan to develop the former Sprecher Brewery, known as
the Excelsior Building on E. King Street, in Lancaster, Pennsylvania. This plan was developed in
conjunction with the Comprehensive Economic Development Plan for the Revitalization of Downtown
Lancaster and the Downtown Lancaster Convention Center for the former Watt & Shand building.
In 1999 I contributed to the debate, research, and implementation of strategies to counter the effects
of the global Y2K threat to the worlds computer technologies. I attended the U.S. Sponsored Y2K
symposium and Conference in Washington, D.C. hosted by the Senate Y2K Subcommittee and Senator
William Bennett.
In 1998 I had began to administer the charity giving of Toms Project Hope, a non-profit organization
promoting education and awareness for mental illness and suicide prevention. We had provided funding
for the Mental Health Alliance of Lancaster County, Contact Lancaster (The 24/7 Suicide Prevention
Hotline), The Schreiber Pediatric Center, and other charitable organizations and faith based charities.
The video "Numbers Don't Lie" have been distributed to schools, non profit organizations, faith based
initiatives, and municipalities to provide educational support for the prevention of suicide and to bring
awareness to mental illness problems.
In 1996 I had done consulting for companies under KAL, Inc., during the time that I was controller of
Pflumm Contractors, Inc., I was retained by Gallo Rosso Restaurant and Bar to computerized their
accounting and records management from top to bottom. I had also provided consulting for the
computerization of accounting and payroll for Lancaster Container, Inc., of Washington Boro. I was
retained to evaluate and develop an action plan to migrate the Informations Technologies of the Jay
Group, formally of Ronks, PA, now relocated to a new $26 Million Dollar headquarters located in West
Hempfield Township of Lancaster County. The Jay Group had been using IBM mainframe technologies
hosted by the AS 400 computer and server. I was consulting on the merits of migrating to a PC based
real time networking system throughout the entire organization. Currently the Jay Group employees
some 500 employees with revenues in excess of $50 Million Dollars per year.
In 1993 I was retained by Pflumm Contractors, Inc., as controller, and was responsible for saving the
company from a potential bankruptcy. At that time, due to several unpaid contracts, the company was
facing extreme pressure from lenders and the bonding insurance company. We were responsible for
implementing computerized accounting, accounting and contract policies and procedures, human
resource policies and procedures, marketing strategies, performance measurement reporting, and
negotiate for the payment of unpaid contracts. The bonding company was especially problematic, since
it was the lifeline to continue work and bidding for public contracts. The Bank of Lancaster County
demanded a complete accounting of the operations in order to stave off a default on the notes and loans
it was holding. We essentially revamped the entire operation. Within 3 years, the company realized an
increase in profits of 3 to 4 times its previous years, and record revenues.

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 323ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page24
4 of 6
55

In 1991 I was elected to People to People International and the Citizen Ambassador Program, which
was founded by President Dwight D. Eisenhower in 1956. The program was founded to To give
specialists from throughout the world greater opportunities to work together and effectively
communicate with peers, The Citizen Ambassador program administers face-to-face scientific, technical,
and professional exchanges throughout the world. In 1961, under President John F. Kennedy, the State
Department established a non-profit private foundation to administer the program. We were scheduled
to tour the Soviet Union and Eastern Europe to discuss printing and publishing technologies with
scientists and technicians around the world.
In 1990 I had worked on developing voice recognition systems for the governments technology think
tank - NIST (National Institute for Standards & Technology). I co-authored the article Escaping the Unix
Tar Pit with a scientist from NIST that was published in the magazine DISC, then one of the leading
publications for the CD-ROM industry. Today, most all call centers deploy that technology whenever you
call an 800 number, and voice recognition is prevalent in all types of applications involving
telecommunications.
In 1989 I had founded Advanced Media Group, Ltd., and was one of only 5 or 6 U.S. domestic
companies that had the capability to manufacture CD-ROM's. We did business with commercial
companies, government agencies, educational institutions, and foreign companies. I performed services
and contracts for the Department of Defense, NASA, National Institution of Standards & Technology
(NIST), Department of Defense, The Defense Advanced Research Projects Agency (DARPA), and the
Defense Mapping Agency, Central Intelligence Agency, (CIA), IBM, Microsoft, AMP, Commodore
Computers, American Bankers Bond Buyers, and a host of others. I also was working with R.R,
Donnelly's Geo Systems, which was developing various interactive mapping technologies, which is now a
major asset of Map Quest. Map Quest is the premier provider of mapping software and applications for
the internet and is often used in delivering maps and directions for Fortune 500 companies. We had
arranged for High Industries to sell American Helix, the manufacturer of compact discs, to R.R. Donnelly.
We had brokered a deal and the executives from Donnellys Chicago headquarters flew to Lancaster to
discuss the deal and perform due diligence of the manufacturing facility located in the Greenfield
Industrial Park.
In 1987 Power Station Studios of New York and Tony Bongiovi retained me as executive producer
of a motion picture project. The theatrical and video release was to be delivered in a digital format; the
first of its kind. We had originated the marketing for the technology, and created the concept for the
Power Station Digital Movie System (PSDMS), which would follow the copyright and marketing formula
of the DOLBY technology trademark.
We had also created and developed marketing and patent research for the development and
commercialization of equipment that we intended to manufacture and market to the recording industry
featuring the digital technology. Sidel, Gonda, Goldhammer, and Abbot, P.C. of Philadelphia was the lead
patent law firm that We had retained for the project. Power Station Studios was the brainchild of Tony
Bongiovi, a leading engineering genius discovered by Motown when he was 15. Tony and Power Station
Studios was one of the leading recording studios in the country, and were responsible for developing Bon
Jovi, a cousin. Power Station Studios clients included; Bruce Springsteen, Diana Ross, Cyndi Lauper,
Talking Heads, Madonna, The Ramones, Steve Winwood, and many others. Tony and Power Station
Studios had produced the original Sound Track for the original Star Wars motion picture. It was
released for distribution and was the number one Sound Track recording of its time.
Tony Bongiovi was also active in working and researching different aerospace technologies. * We had
developed and authored a Joint Venture Proposal for SONY to partner with us in delivering the Digital
Movie and its related technologies to the marketplace. The venture was to include the commercialization
of technologies, which Tony Bongiovi had developed for the recording industry simultaneously with the
release of the Digital Movie.

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 424ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page25
5 of 6
55

I also created the concept for the PSDMS trademark, which was to be the Trademark logo for the
technology, similar to the DOLBY sound systems trademark. The acronyms stand for the Power Station
Digital Movie System. Today, DVD is the mainstay for delivering digital movies on a portable medium, a
compact disc.
In 1987 I had a created and developed FMG Mortgage Banking, a company that was funded by a major
banking firm in Houston Texas. We had the capability to finance projects from $3 to $100 million dollars.
Our terms and rates were so attractive that we had quickly received solicitations from developers across
the country. We were also very attractive to companies that wanted to raise capital that include both
debt and equity. Through my company, FMG, we could raise equity funding through private placements,
and debt funding through FMG Mortgage Banking. We were retained by Gamillion Studios of Hollywood,
California to secure financing of their postproduction Film Studio that was looking to relocate to North
Carolina. We had secured refinancing packages for Norris Boyd of and the Olde Hickory and were in the
midst of replacing the current loan that was with Commonwealth National Bank. We had meetings and
discussions with Drew Anton of the Eden Resort, for refinancing a portion of his debt portfolio. We were
quickly seeking commitments for real estate deals from New York to California. We also had a number of
other prominent local developers seeking our competitive funding, including Owen Kugal, High
Industries, and the Marty Sponougle a partner of The Fisher Group (owner of the Rt. 30 Outlets). We
were constantly told that our financing packages were more competitive than local institutions.
In 1986 I had founded Financial Management Group, Ltd (FMG); a large financial services organization
comprised of a variety of professionals operating in one location. We had developed a stock purchase
program for where everyone had the opportunity for equity ownership in the new firm. FMG had
financial planners, investment managers, accountants, attorneys, realtors, liability insurance services,
tax preparers, and estate planners operating out of our corporate headquarters in Lancaster. In one
year, we had 24 people on staff, had approximately 12 offices in Pennsylvania, and
several satellite offices in other states. We had in excess of $50 million under management, and our
advisors were generating almost $4 million of commissions, which did not include the fees from the
other professionals. We had acquired our own Broker Dealer firm and were valued at about $3 to $4
million.
In 1985 I developed the Easter Regional Free Agent Camp, the first Free Agent Camp for the
Professional Football industry; which was videotaped for distribution to the teams scouting departments.
(See Washington Post page article of March 24, 1985) Current camps were dependant on the team
scouts to travel from state to state looking for recruits. We had developed a strategy of video taping the
camp and the distributing a copy, free of charge to the teams, to all of the scouting departments for
teams in all three leagues FL, CFL and WFL. My brother was signed at that camp by the Ottawa
Roughriders of the CFL, and went on to be a leading receiver while J.C. Watts was one of the leagues
most prominent quarterbacks. My brother also played 2 years with the Miami Dolphins while Dan Marino
was starting quarterback. We were a Certified Agent for the National Football League Players
Association. Gene Upshaw, the President of the NFLPA had given me some helpful hints for my camp,
while we were at a Conference for agents of the NFL. The Washington Post wrote a full-page article
about our camp and associated it with other camps that were questionable about their practices.
Actually, that was the very reason for our camp. We had attended many other camps around the
country that were not very well organized and attracted few if any scouts. We had about 60 participants,
with one player coming from as far away as Hawaii. We held the camp at Lancaster Catholic, with a
professional production company filming the entire camp, while I did the editing and produced the video.
The well respected and widely acclaimed professional football scout, Gil Brandt, of the Dallas Cowboys,
had given me support for my camp during some conversations We had with him and said he looked
forward to reviewing the tapes for any hopeful recruits.

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 525ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
40 Filed
Filed04/29/16
04/20/16 Page
Page26
6 of 6
55

In 1985 I was elected Vice President of the Central Pennsylvania Chapter of the International
Association of Financial Planners, and helped build that chapter by increasing membership 3to 4 times.
We had personally retained the nationally acclaimed and nationally syndicated Financial Planner, Ms.
Alexandria Armstrong of Washington D.C.; to host a major fundraiser. More than 150 professionals
attended the dinner event that was held at the Eden Resort & Conference Center. Ms. Armstrong
discussed financial planning and how all of the professions needed to work together in order to be most
effective for their clients. We attracted a wide variety of professionals including; brokers, lawyers,
accountants, realtors, tax specialists, estate planners, bankers, and investment advisors. Today, it has
become evident that financial planning was the way of the future. In 1986 executives approached us
from Blue Ball National Bank to help them develop a Financial Planning department within their bank.
In 1984 I had helped to develop strategic planning for Sandy Weill, former President of Citi Group (the
largest banking entity in the U.S). We were one of several associates asked to help advise on the future
of Financial Planning and how it would impact the brokerage and the investment industry at large. Mr.
Weil was performing due diligence for the merger of American Express and IDS (Investors Diversified
Services). We were at that time a national leader in the company in delivering Fee Based Financial
Planning Services, which was a new concept in the investment community and mainstream investors.
That concept is now widely held by most investment advisers.
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
Freedom From Covert Harassment & Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

ACTIVE COURT CASES


J.C. No. 03-16-90005 Office of the Circuit Executive, United States Third Circuit Court of
Appeals - COMPLAINT OF JUDICIALMISCONDUCT OR DISABILITY re 15-3400 and 16-1149
U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149;15-3400; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 15-03984; 14-02559; 05-2288; 06-4650
Superior Court of Pennsylvania Case No. 1561 MDA 2015; 1519 MDA 2015
Lancaster County Court of Common Pleas Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 16-10157

Stan J.
Sara
McLachlan
Caterbone/Advanced
& Clipper Stadium
Media Contract
Group Biography Page
Page 626ofof6 55

Wednesday,
Friday, April 29,
20, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page27
1 of
of29
55

Stan J. Caterbone
ADVANCED MEDIA GROUP

Freedom From Covert Harassment & Surveillance,


Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

April 16, 2016

My Story of Victimization for Derrick Robinson's Document to the FBI


In 1987 I became a federal whistleblower for the case of local defense contractor International
Signal and Control, or ISC. ISC was a black ops program for the NSA and CIA that was convicted in
1992 for an elaborate scheme to arm Iraq and other Middle Eastern countries with a broad array of
weapons, most notably cluster bombs. It was the third larges fraud in U.S. History at that time. I have
been a victim of organized stalking since 1987 and a victim of electronic and direct energy weapons
since 2005. I had also been telepathic since 2005. In 2005 the U.S. Sponsored Mind Control turned
into an all-out assault of mental telepathy; synthetic telepathy; hacking of all electronic devices;
vandilism and thefts of personal property, extortions, intellectual property violations, obstruction of
justice; violations of due process; thefts and modifications of court documents; and pain and torture
through the use of directed energy devices and weapons that usually fire a low frequency
electromagnetic energy at the targeted victim. This assault was no coincidence in that it began
simultaneously with the filing of the federal action in U.S. District Court, or CATERBONE v. Lancaster
County Prison, et. al., or 05-cv-2288.
This assault began after the handlers remotely
trained/sychronized Stan J. Caterbone with mental telepathy. The main difference opposed to most
other victims of this technology is that I am connected 24/7 with the same person who declares
telepathically she is a known celebrity. Over the course of 10 years I have been telepathic with at least
20 known persons and have spent 10 years trying to validate and confirm their identities without
success. Most U.S. intelligence agencies refuse to cooperate, and the Federal Bureau of Investigation
and the U.S. Attorney's Office refuse to comment and act on the numerous formal complaints that are
filed in their respective offices. Most complaints are focused on the routine victimization's of a targeted
individual including but not limited to stalking, harassment, threats, vandalism, thefts, extortion,
burglaries, false imprisonments, fabricated mental health warrants or involuntary commitments, pain
and torture to the body, and most often the cause of obstruction of justice is the computer hacking.
I have a very sophisticated and authentic library of evidence of the use of U.S. Sponsored Mind
Control technologies on my father and brother that dates back to the 1940's while my father was in the
U.S. Navy after he graduated with honors from Air Gunners School in Florida, including an affidavit
motorized and authenticated by my father in 1996. My brother served in the U.S. Air force and was
victim to LSD experiments of the infamous MKULTRA program in the late 1960's.

Stan McLachlan
Sara
J. Caterbone
& Clipper
Story and
Stadium
Evidence
Contract
of a TI
TargetedPage
Page
Individual
27
1 ofof29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page28
2 of
of29
55

In 2015 I filed an amicus curie on behalf of Lisa Michelle Lambert who was convicted in 1992 of
the murder of Laurie Show, both of Lancaster, Pennsylvania. I currently am in litigation in the U.S. Third
Circuit Court of Appeals and in February of 2016 Lisa Michelle Lambert published her book titled
Corruption in Lancaster County My Story, which is available in bookstores and on Amazon.com. I
am in frequent contact with her co-author, Dave Brown of Philadelphia, Pennsylvania.
In 2009 I Proposed an ORGANIZED STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT
BILL to Pennsylvania House of Representative Mike Sturla (Lancaster, Pennsylvania) and City of
Lancaster Mayor Richard Gray in 2009. The draft legislation is the work of Missouri House of
Representative Jim Guest, who has been working on helping victims of these horrendous crimes for
years. The bill will provide protections to individuals who are being harassed, stalked, harmed by
surveillance, and assaulted; as well as protections to keep individuals from becoming human research
subjects, tortured, and killed by electronic frequency devices, directed energy devices, implants, and
directed energy weapons. I again reintroduced the bill to the Pennsylvania General Assembly in 2015
and frequented the Pennsylvania Capitol trying to find support and a sponsor; which I still do to this
day.
In 2005 I, as a Pro Se Litigant filed several civil actions as Plaintiffs in the United
States District Court for the Eastern District of Pennsylvania, the United States Third District
Court of Appeals, the Pennsylvania Supreme Court, The Pennsylvania Superior Court, the
Commonwealth Court of Pennsylvania, The Court of Common Pleas of Lancaster County,
Pennsylvania. These litigations included violations of intellectual property rights, anti-trust
violations, and interference of contracts relating to several business interests, harassment,
extortion, fraud, etc.,. . Central to this litigation is the Digital Movie, Digital Technologies,
Financial Management Group, Ltd,/FMG Advisory, Ltd., and its affiliated businesses along
with a Federal False Claims Act or Federal Whistleblowers Act regarding the firm of
International Signal and Control, Plc., (ISC) the $1Billion Dollar Fraud and the Export
violations of selling arms to South Africa and Iraq. This litigation dates back to 1987. In
1987 I microfiched some 10,000 pages of documents that prove this story without any doubt.
I also have recorded conversations of persons and government officials.
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
Freedom From Covert Harassment & Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163
ACTIVE COURT CASES
J.C. No. 03-16-90005 Office of the Circuit Executive, United States Third Circuit Court of
Appeals - COMPLAINT OF JUDICIALMISCONDUCT OR DISABILITY re 15-3400 and 16-1149
U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149;15-3400; 16-1001; 07-4474
U.S. District Court Eastern District of PA Case No. 15-03984; 14-02559; 05-2288; 06-4650
Superior Court of Pennsylvania Case No. 1561 MDA 2015; 1519 MDA 2015
Lancaster County Court of Common Pleas Case No. 08-13373; 15-10167; 06-03349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 16-10157

Stan McLachlan
Sara
J. Caterbone
& Clipper
Story and
Stadium
Evidence
Contract
of a TI
TargetedPage
Page
Individual
28
2 ofof29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page29
3 of
of29
55
Stan J. Caterbone Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
1
29
3 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page30
4 of
of29
55
Stan J. Caterbone Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
2
30
4 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page31
5 of
of29
55
Stan J. Caterbone Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
3
31
5 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page32
6 of
of29
55
Stan J. Caterbone Affidavit

! "

"

$% &
!

" #

%
"&#
(

'
!

(
,

"

"

")

"

""
-

)
!
! "
!

'
%

" !
"

!
)

+
!

" *
"

"
,

,
,

*
%

*
(

%
!
/"0

1
1 ,
"
"

4
!

"

"
!

!
#
.

.
&,,0
%

1 ,

2"3

!
)

** ! "
&,,..$/

&,,

%
&,,
%

&

, "

"

00

"

!,

"

6
7

7 , !
&,,-

8,
:
(

$;$

"2

! " ,

, ,

** !

;
5

$
!

&,,@

,
.

&<;=

>
1

9
,

&,,=
$

,
>
A

1 B3

.+

&,,=
1 B3

2
>
%

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
4
32
6 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page33
7 of
of29
55
Stan J. Caterbone Affidavit

<

1
1

* "
!

"
C#

"$

"

<
*

&, ,

24

#9

; "
&,,@(&,,= A
3
24
5
!
%

&,,0 4
! %3

"

"

!
&,,
%

!
4

'
5

4
D

%
%

"

""

,! "
0 =

0 =9

9
00&9 00

:
9

&,,-

&, , $
!

%
!
D

%
%

=
F
!

))
+

/4

),

"

0 =

/
$

G
3

%
00

3
3

"

%#
$

$
&, ,

&,,4

!- "

.
&,,@

,
*

&,,<
E

&,,

-) !
/ 4

24
/

$
D

&, ,
D

$
&,,-

&,,0

%
D

!
D
D %
7F !
>
!
D

$
A
8F
$

%
;

D
.

%
&,,3
E
$

*
00=; 00

$
5

! 7

0 =
00

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
5
33
7 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page34
8 of
of29
55
Stan J. Caterbone Affidavit

)
A

24
$;$

00
(F

&

%
B

5
00 9

" * <
00=( 00 9

:#

> ) "" ""


$

;3

#, " !
&,,-

"

"

"

0 =
&, ,

/
.
$

B
3

3
=

0 =

) "

.
&,,1

0 =

24

" "
3

"
&,,@

" E

""

B
$

<

&,,1

.
&,,-

,-(&&
2

=
@,

"

&,
3

&,,!

&,,@

&,,@

0 =
@, 1

&,,@
9
!
@,

#" !,
0 =

" "1 ,

"

"*

":

" E
F

&,,-

!
B

/
!

"

00=( 00 9
B
:
9

$
'

.
&,,1
9

0 =
&, ,

/
.

00 9

/
&,,9

&,

( "

!
.

00

$
!

&, ,
F

3
7

8
!

&,,

&, ,

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
6
34
8 of
ofof27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case
Case5:15-cv-03984-JCJ
5:15-cv-03984-JCJ Document
Document45
38 Filed
Filed04/29/16
04/18/16 Page
Page35
9 of
of29
55
Stan J. Caterbone Affidavit

&

, * "

&&

*#
"

&:

;!

&<

:
%

$
&, ,

$
&,,-

!-

,
5
%

"

>

$
$

< !-

24

? "
;

>

&,,0
B

&,,%
(

$
&, ,

&-

A
.+ $

&@

! :

&,,$

: , *

&, ,

* @

&,,@

"
E

3
&,,

"

&,,0

7 "!

7 "
0 =
*

&=

) "

":

)"

&,,@
"

&

&0

!
< ")
+
9 &,,@
:
9
&, ,
&,,

00

:,

!6

"

"

" .
9 &,,0

0 = "&#

, *

&,,@
/

" F
0 =

;A

0 =
F

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
7
35
9 of
ofof27
29
55

0 =

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 36
10 of 55
29
Stan J. Caterbone Affidavit
3
"
+

$
1

$
.

0 =

I $
!

0 =

.
$

"2

'

+$;F
D
"$

&,;&,
3
A

00

'
$ 24

"1E1# $

K
E
A

00&

>

L
F

F
B

F
+

0=,K
A

$
$

1
+

>

1
$
>

B
!

3
F

1
00
) % 3
&,,-

!
>

! A !

00,K
1 B3
>

F
F
& 1

F
8

! 4

'
A

! 4

A
0=,K

F
00,K

0 ,K

0<,K

3
/

>

%
&,,

) %$

0@,K
0@,K
$

2!
A

D 1

"
$

0 <9 F

4
A? D!B
#
*

$
7

+
00

D 18

.
E

$
M 1
00= E

0 =
%

0 ,K
$

0 =

M
00
!

&,,9

(
9

!
1

,-(

$ !2B+EF2

(&&

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
10
8
36of
of
of27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 37
11 of 55
29
Stan J. Caterbone Affidavit

") !

"

7!

N
.
!
5
F

(
(

5
G
*

A'
, ?
*
? 1
!,
A
(
> "
!, '!

,
B

A
" " * #" !, " "

$C

* #" !, D

73

8
* 7

,
"

"

&

"
#

.
"

#(

5
7
9

'
5

%
7A

8 !

8 !

'

!
7D .2

O
% 8

'
7

'

(
(

%
%

4
K
K

M %

%
K
'

7E

(
8

"

%
'

%(

(
(

4
;

(
7
7

87

(
(

8
8

- 7 > !,

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Individual
11
9
37of
of
of27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 38
12 of 55
29
Stan J. Caterbone Affidavit
!
!
@
E
!
DD
@
E
!
DD
B &. @
DD
B@
. DD
")
!
"
B@
& DD
)
B@
. DD
)
*
B@
& DD
)
!
B@
$ DD
")
!
B@
DD 7
B@
E
DD
"! "
*
. @
EB& DD
!
*
. @
EB DD
")
!
& @
& B DD 6, "
1
B@
DD 5
B@
& DD
B@
DD
)
1
B@
& DD >
B@
DD ' "
!
B@
)
B@

E DD

)
*

"E

* , "
,
!

1
3
1

))

1"

"

, "

*"

"
, "

!
*

"

")

"

7
*
)

*
, "
1 ,!
, "
)
!
"
"
!
!
1
"": !
, 1
"": !
"
1
"": !
!
"
! * !
*

!"

, "

"

"

"

1 ,"

DD

*)

PPPPPPP "

>7

%#

'?

Stan J. Caterbone
# PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

"

Stan J. Caterbone
# PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

"

June 19, 2015


PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

Pennsylvania
PPPPPPPPPPPPPPPPPPPPPPPPPP
$
Lancaster
PPPPPPPPPPPPPPPPPPPPPPPPPPPPP
19
PPPPPPP

15
June
PPPPPPPPPPPPPPPPPPPPPPP
&,PP

Stan J. Caterbone - I was a notary from '94-'98


PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP
F
PPPPPPPPPPPPPPPPPPPPPP
SJC
I
.

I
&, ,

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
10
12
38of
of
of 27
29
55

Don't Know When

24

$
$

Q &, , "!
I

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 39
13 of 55
29
Stan J. Caterbone
Samuel
P. Caterbone
Affidavit
Jr., (Father) Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
11
13
39of
of
of 27
29
55
THE ADVANCED MEDIA GROUP

Page 35 of 41

Saturday,
Friday,April
April 16,
29, 2016
06/10/2007

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 40
14 of 55
29
Samuel P. Caterbone Jr., (Father) Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
12
14
40of
of
of 27
29
55
THE ADVANCED MEDIA GROUP

Page 36 of 41

Saturday,
Friday,April
April 16,
29, 2016
06/10/2007

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 41
15 of 55
29
Sammy Caterbone (Brother) Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
13
15
41of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 42
16 of 55
29
Sammy Caterbone (Brother) Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
14
16
42of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 43
17 of 55
29
Sammy Caterbone (Brother) Affidavit

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
15
17
43of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 44
18 of 55
29

September 25, 2009

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
16
18
44of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 45
19 of 55
29

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
17
19
45of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016

What is CCHR?

1 of 2

http://www.cchr.org/about-us/what-is-cchr.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 46
20 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

ORDER

The Citizens Commission on


Human Rights was originally
formed in 1969 as a global
watchdog committed to
investigating and exposing human
rights violations in the field of
mental health. From its
headquarters in Los Angeles,
CCHR coordinates activities
amongst its chapters around the
world.

HOME ABOUT US WHAT IS CCHR?


SUBSCRIBE
TO CCHR NEWS

< ;

WHAT IS THE CITIZENS COMMISSION ON HUMAN


RIGHTS?
! !"
#'

FREE INFORMATION KIT


AND DVD

$$!##!

($

))

* #
!

(
Restoring Human Rights and
Dignity to the Field of Mental
Health

'#/

, #!

About Us
Accomplishments
Message from the President
Board of Advisors

)#+

'

'#/

) . )! ! / (

'!

# % ##

#!
(

//

))

! (

$ !

$( )
!

! ! #!

'

!#

)!

!
(

#!# (

))
#+

'
.

,! #

')

!
$ !

#
! (

&

! (

))

#+

0 '#/

* !

, #

.! !

)+

!. #

'
#

' )! !

#+

!#)

)
.

))/ '

.!#

.
$

# /
')

#+ )

!# # *

!#

!
(

/$

!#

!# #+ ) */
!

! ))/ ! (

( 1#/
#

#!

6# 7

#+

( ##

!#9 2 '

#!

# ))

!#0# (
$

* /

'! !

!#

# 5

'! !

3'

#!

0!

) ( 4 !#

+ % & ))

( #

# ( * '#/

!# #+ '#/

!# (

.! *+ %7&

# !,

'

$
#

# ) )/

!.!)

!#

))

)8
0

*
$ , #!.

+*

# / #

!# #

)/ #0 !(

% &

)!

)
)# (

,)

, !

#+ # !

!# * ,#!

# #

)3

# $

( ##!

!.!

#*

!# #+

!" !

$ ) !,!))!
0

$
(!

#+ !

## '

') (

,! )

' !

#+ ,

What is CCHR?

'

)!
$

( #

' !

, #! !

)
#+ # !

(! $

!#0# ( '#/

'

+ ( )) ! (

)+ !.!)

! 3'

#+

#!#+

!$ *
!

! #

$$!##!

,/

# # ) )/ #

)# !

)! !

)!$!

!. #

#!

,/

Order a Free
Citizens Commission on
Human Rights Information Kit

" #"

( ))

+,

!
$ #

& !#

) )

( ##!

/ ( '#/

#2

# !''

'

+!

#%

- ) *# '

#)
)

! !$

)) . !) ,) $

)'!

!. '
(! )
$

#!,) (

$ !

()!
, !

%2&

$( )

Leadership
#*

CCHR Financials

Mental Health Declaration

! (

$ !

$!

#(

( )) ! (
!

# *!

'#/
. #

#
!

!
!

(! )

($

# #

# ! 0

'!

)
+

' ,)! !

0
!# !
! (

CCHR
CHAPTERS WORLDWIDE

(
!

: #

Psychiatry: An Industry of
Death Museum
CCHR Global Locator

!# #'! !

$ !
'

* '

#!
(!

$/
!" !

*!

*!

+ ! !#

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
18
20
46of
of
of 27
29
55

.!

#+ ,)

#+

*#+ $

) ;'

#
' ,)!

,)

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:42 AM

CCHR4 decades of accomplishments

1 of 4

http://www.cchr.org/about-us/cchr-accomplishments.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 47
21 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

ORDER

For more than forty years, CCHR


has carried the torch for human
rights in the field of mental health,
earning numerous recognitions
from government bodies,
legislatures and community
organizations worldwide.

HOME ABOUT US ACCOMPLISHMENTS


SUBSCRIBE
TO CCHR NEWS

<

1 - 6

ACCOMPLISHMENTS OF THE
CITIZENS COMMISSION ON HUMAN RIGHTS
Bringing Psychiatry to Justice for More than Four Decades

FREE INFORMATION KIT


AND DVD

! !"

'

'

- !

+' &
$

$$!#!
&
!

$ +#*

$$!##!

$ #!
#
!

+#*

$$!##!

!
!

)'

#+

% # 0
!

&

#%
+

#!%' &

%*
.$
!

# &
, !

&

' +#*

'!

++

$
%

&
! '

$#/

# &!

! +

!1!

'

# #

! #

!*

# 1! '
1
$!''!

#
#

$
Restoring Human Rights and
Dignity to the Field of Mental
Health

Order a Free
Citizens Commission on
Human Rights Information Kit

+#*
!

*
1!

! &

%!

+'

%*

!$

#'
!#0

#0

* ) # + ##

$
!#

!$!

+#*

+
!

'!&

!#'

##

!# # $ #

'#

##

! : ! ! #!
3!##
# '

!0

;
!#

+ !

! 0+

1! !

(#

#+! '

'
!

*
% # #

! #

&

! &

!# %

#
+#*

#
$

'

!
+

!
!

#9

, !

$! !#

<! $
%

' )!

!# + %'!

& ) '1

#'* 1 !

#
&

!1 )
#

!#$!##
&! # ' )

+
#

$+'!# $

) !!0 3!

&$ ;

*# &
&

#
!

! # + !

%* '

'

! #0

$ $%

!'
!

'

# $

8# $

! 0 ''!

6 #0 +#*
# )!

* &

' #

'!1 # &
1

!# # % !

! # %#

'*0
+

CCHR
CHAPTERS WORLDWIDE

! #

Psychiatry: An Industry of
Death Museum

! +#*

8# &&
!

! #

! #0

' 0

' )0

# 1

#0 6 !%! #0

'!&

+#*

'+

!# %

1
#

+ !

8# ! 1 # !

#% !

#$

&

#0

!'

)!

2# ) (
$!''!

#! 4

!'! ! # !

$! !#

'

&

% # #
! 1 #!

% ! & # $$

'*

CCHR Financials

CCHR Global Locator

# !

$+

0 !#

! &

Board of Advisors

Mental Health Declaration

$+

'! *

& '' )#0

+#*

#0 + %'!

!$!

+#*

&
#

# &
!"!

Accomplishments

Leadership

'

)!
5

What is CCHR?

Message from the President

#0

' ## # &&

*0

+#*

&

! &
1

About Us

&$

'+
&

'! $

#+

!'

8#
'

'*

) $
#0

'+

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
19
21
47of
of
of 27
29
55

6+ #

&

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:43 AM

CCHR4 decades of accomplishments

2 of 4

http://www.cchr.org/about-us/cchr-accomplishments.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 48
22 of 55
29
#

!'

0# $

!%!

&

!
'

&

& + *#!

+ !
#A

'*
?B

*8# !
#!

&

7 (!

)!

'+

#
$

# !
$
!

#&

(#

'

'#

*0

!'*0 )!
3

$! !#

#+! ' !

!#%

'

% !

'

'

+#*

)!

0'

! 0) #%
&

##

'
!

% &

'

&

! #

#% !
!!

&

!%! !

# '!

'! ( % )

# # &+

&

#0

!1

C* )

A+
&

& #!

1! '

! 0

# #

# # ! !
# !1!'

'* 6+ #
& +#*

# ' ##

# %# :
! &'

'+

!'

! 1 #!

0# ! !

+ ##

6+ #

(!

! : ! *!

+#*

+ !

!# #
$

!# !##

'#

# 1! '
!

# & 1! '

! 1
+#*

'#

!1

<#*

'

+'

'!# #0

##

! 1 #!

#@

$#

#*# $/

(!

# ' 1 ' &

!&!

# % !

$+ !
(

# &

&

+ ##

'
!

< !1

/ ! 1 '1
!

' &&

#+
'$#&

' ?$!
'

#)

$+'*

#0

(!''
!$!

'*
' !

$!
.

( !' & +#*

! !#

0 )!
'

'

!'! *

$
'!

)!

'

#0

*&

,
# #!6 >

!# !+'!

#*

(!

&

''

!#'

)!

!# !##

##

'

!'

#0

) # 6+ #
#

#
!

# '
!

&
'0 !

'

!'

+#*

#
, !

- !

>! '
% !

$!# !

#+!
$$

&

)!

0)

1!

!'

'*

8# &&
* & +#*

#!#0 # ! !
$ $%

#'

&

''* !##

# !%

#$

#!

!!

$! !
!

' B

) #

>B
# )

#!

##

'

! ##
!

+
$$!

8# $

'

#0

1 #

$+ !

+'
+ %'!

# &

6+ #

##

&

##

$
#

!# ) #

(!

)!

'

'

> '' )!

%*

&

! *

#0

+ ! & ' '

#
$$!##!

# $

+#0

$ ( #! $

#% !

+ %'!#

*&

6+ #
#

$%

&

'+

''

1 #

!# #

#0

'
! 1 #!

$+

# !

'*

# B

+ !

# !$

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
20
22
48of
of
of 27
29
55

*
!

&

% !
8# ''

! .#' 1 ' %
!

# 7
& !

!$ #

$+# !

#0 )

!## $!

) !

#)

! #

+ !
) !

+#*
& !

$! !
#

+
# %#

#
# &

( )!

! ! #!

! 1 #!

$ %!''
#

# &
! )!''0 !

%* %

! #

#0 +

1!# + !

+
& !

>B
#
&! #

+#*

) !# ' %' )

>B

#/

# !&!

>B

'

0)

>B
#

1 !

# &
# # ! !

#0

# $

#&

BB .

#/

# !#
!

##@ &!

# &

% !

#
$

' !#

+
B B

# &

1!

#+
#

# !$ '

$# & $

"

## &

+#*

!'

##!

$& ' &&

# %

'*

"

# &

(0 6+

&

0.

0'

'

&
1!

##

<

)!

+ ##!%'

$$!
'!

# %;
1

*! &

#+

$ !

7 '

'

!" !
0

8#

% !

!'! !
!

'

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:43 AM

CCHR4 decades of accomplishments

3 of 4

http://www.cchr.org/about-us/cchr-accomplishments.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 49
23 of 55
29
! : ! *!
! &

+#*

$ !
! E
E

!#$

+#*

$+

*8# '

&

- "!

) # &! # +!'
$+#

+#*

#!1

!# # +

! !

#% &

* - "! +#*

!# # #

; #!

&

!##

)
+

#!
#

% (!''
6

&!

!$ #

+#*
!

&

)!
%

$
.

<#*

!1 !

+ !$

!'*

''

#!

# '

&

H( 1!I0 &

!$ '

5%

+#*

!
!

!#

'

!"

+#*

J!I ) #

# $$

'!

< '! $

!
#

!# # #

.#

&

&

!
0 $ $%

>

#!

! 'B $

!# #

%*

#/ 7

J!I8#

! #)

!' $ $%
#

&
!

#!

F # 1 0

!' &

# '

'

! C # !

! ' * !

+ !##

$$!##!

'*

'!

(# & G 1

J!I0 )

#%

'

# &

# &
! '

! !"

!# # )

!%

! !

'

!' &

* . %#
!

,- 7

&'! 0 ! +
<

! '#
' !$

!" !

#/

!
$%

+ %'!#

+#*

#!

6+

#'

#!

!&! /

#!1 '*

!#

$+ !

' #!1 '*


.# !

* & '!1!

&&! $!

% !

!&&

!&&

# %'!#

* .'!&

! ! #!

#!%' &

!# ' #!

* # ) '' #
#

>
#+

! !

'

1!

! +#*

##

% #

; # !&!

0! ) #

$ !# +#*

(
'

)!

&&! ! '#
!

&

#+
* # 1

#*' $#

$ #0 $

! **

#!
#)

1!

' &

)!

#*' $#
#

# '

' #

! $
&

$ *

&&

1!

'

0) !
#

'* ! #+

0 !## !
% #

) #+

*8# +#*

# ) !' + !

!
$

&&

# &

!!

&
!

$ $%

$+ '!(

#)

#&

$# '1 # &

'$

'&

!#

&! #

'

'

!$

#
!
#

$+ !

!!

&

#)

+!# #

# 6

$! !

& '' )!

# $+'
'

+#*

!# #

!# #

'

+#*

' #!
!

! +#*

'

!1!

'# )!

! &

!'! ! #

- $

+ !1

! 1 #!

C*
+#*

%!''!

!
!

+ !1

! #

#+! ' $

!$!

'

&

$$!

*0

%*

# &

#+! '
#&

K %!''!
!

! !

&

!$!

& #!

! 1 '

% !

+ !
'

.%

% #

!1!' &!
*

!'* ! # !

#
#/ &

'!"

*
!

'

'

!
!

&! +#*

!1!' &!

! ! #
&

' # #

; !'

+#*

' )!

!$ #

'! 0 E

' ##

! 1 #!

! + !

' % #

# 6
#

1!

40 #

$# 6

#0

# 6 ## 6

'

$!'(
0&

#&

$
%

1 %

'* + ##

&
!

&! !

$ ;

#+! '

+ !

, !

!# #
&

# %# :

&; #!
#0 %

1 %

!# # !

#'

! 1

+!# + !

+#*
%* &

)# )

'

#
#

+#*

6
! + !

&# &

8# ! 1 # !

+ !1

!$ #

' )# ' % '

C &

$!#!

''* % #

* &!1 #

! 1 #!

'

$+

#+! '# )
!! #

!$!

'! 1 #!

# %# :
!

'*

*+
!

0) !

&

# '

#
<
3 ##

&

1 - 6
<

#!

" #
C , ,

C , < D

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
21
23
49of
of
of 27
29
55

<,C

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:43 AM

Mental Health Declaration of Human Rights

1 of 3

http://www.cchr.org/about-us/mental-health-declaration-of-human-rights...

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 50
24 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

ORDER

Under the banner of the Mental


Health Declaration of Human
Rights, tens of thousands of
people around the globe have
joined CCHR and taken to the
streets to protest psychiatric
drugging and other inhumane
mental health practices.

HOME ABOUT US MENTAL HEALTH DECLARATION


SUBSCRIBE
TO CCHR NEWS

MENTAL HEALTH DECLARATION OF HUMAN RIGHTS


! !"

$$!##!

&& % $

! % #

!" !

!*! ! # +% ,

FREE INFORMATION KIT


AND DVD

'

&

&

%
$

+%

Accomplishments

&

&!

% ! )

! %#

&

! % # *! &

) # #

# %

! !

)#

) !

!)& #

%!

'! $!

' &&

! %

! '
!

6 )

#% &&

!*

6 )

/$

'
' #

%!

&&

# # ' )#

# # '$

&&

!#5# '

' && * !&

)#

%!

& 2!&&

%!

!#

##3 %

)#

%!

& $

&

# (%! %

&

$
% ) !

)#

#!

% &

%!& / $

/ (! %

) ) #

!
$

/( $

##/ #

&

)#

! %

(%! % %
$

'! $

$! !#

& !&&

#
'

/!

'

+%

What is CCHR?

!'! 1$

! %
&&

%
!

! # (%! % % $

4 && !# & #
Restoring Human Rights and
Dignity to the Field of Mental
Health

'
&

.) #

' && ! '

+% # !

Order a Free
Citizens Commission on
Human Rights Information Kit

##

& ##& ! * # !
! %

! %#

&%-

% #

+%

About Us

* 6 .

' ! 7

&

&

$' &

%!#

! &

#%

! # %!#

(!&&

& &!

(! % )

&

&

/ % #)! &

'

'

6 )
#

#% &&

$!

' % ! ) &! !
) !

&/

% & !
&! !

)#

&

&

%!

! ! #!

&! '#

!
!

!&!

% #0

Message from the President


+%

Board of Advisors

+%

Leadership

&! !

CCHR Financials

Mental Health Declaration

+%

Psychiatry: An Industry of
Death Museum

!#

CCHR Global Locator

CCHR
CHAPTERS WORLDWIDE

! %
! %

% #)!

/ ) &! !

!#
%

(! % !

! %

& $

& )! !
% *

/#

% $

! ! # (! %
! &

&)

!# !

! !

%/ )% #!

!!

'

+%

&

&! !

8# % !

#
! %

!
#

! %

' ! %

& . $!
#

)% #!
#

! %

! % #)! &#/ #

' &&

9 !))

$)

!
$

& )! !
!

)% #!

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
22
24
50of
of
of 27
29
55

&'

'
!&! ! #

&/ &! !

%
& !&&

& / # ./ &

$)
8# $

&

##/ ! 7

!!
'

8# % !
))
& . $!

) !
!

&
#

$
)

'

& # ''

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:45 AM

Mental Health Declaration of Human Rights

http://www.cchr.org/about-us/mental-health-declaration-of-human-rights...

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 51
25 of 55
29
+%
!#

! %

% 5!

## %!# (! %

+%

! %

% *

)#

% #

' #

#%

&

+%

! %

(%! % !#

$ 5
'

+%

)#

! %

+%

%!

+%

! %

##

&
! %

! %

' #
%

) /

) !# &/
&/ & (

) #&

&

) %

)
)

)&

$)& !

&

$)

!&
8#

&

*!#

5 &

!$
''

!#%$

!# %

(! %

'' ! # (! %
' & (/

!#
.

&

8# ( )

&
!* &

$ ;

) /

# &'

' 5! /

) ## ##

' &# ! '

& / %

$
8#

#/ (! %

# & (! %

% ) !

5/ &

! %

% ) !

&/ ! % $

$$!

!'

+%

%!

!# %

/ % *!

%
''

! )

% * ) !*

! %

# ! !

#!

#/

(%!&

8# % !

$
! )

#!
$)& !

)#

$) ##
!*

&

&

&

)) !
% .

*!#

&

*!# / !'

% *

$)

8# % #)!

$ !

&

!#

!
#

5 &

! (%! % $

&

(! %

8#

!
+%

! %

#/

$
&%

! #

!$) !#

/ ##

& '

+%

! %

!'

%!

! %

+%

(
&

'

&

!$!

' #

&/

#!*
!#

*! & !
#

&!

&&

%
1

'

'

% #)! & # ''

5/
#

$
# / ' &#

&%& ( %

! !

&%

% &

##

'

) /

!# / )#

'& (

% #)! & # '' '

/# .

!# #/ % !

&

#/ % ! # !

! %

!* 7 #

&(

#'

#!$!&

$)
(

# !

5/ '

(%!& % #)! &!"

! %

!# %

%!

/ ' &#

$)

!#

! %

&! #'
)#

)#

% &

% )

/ (! % % ' && ##!#

& (

& (' &

+%

!# / )#

$$!

# '' '

5)

&

%!

!$!
)#

&%

$ !'

) !

</ *

'

''

'

/ ! # &! #%

(
''! ! &

$) #

$)&
$! !#

5
)

#)

&

# '

/! ( !

)
/ &

/%

''

% ) !

! %

!&!" !

' %

!!

&& % #!

&

+%
#

&)

! !

! %

' % !

&

(%

5!

&!*!
'

(%

! !

!#

!*
+%

! %

+%

! %

!* *!#!
$ 5

&& )
+%
! #!

! %
!

&

'

&

! %
%

+%

! %
)&

!*

##
'

%
#

! %

!& )% #!

+%

! %

(! %

# '

% *!

8# (

+%

! %

& .

(! %

)#

*!

%!

/)

)
% * )

!# !

& ''

'

% *

!!
!!

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
23
25
51of
of
of 27
29
55
2 of 3

) !*

!
!

! %

) % $

+%

(! %

& & %!

8# ( ' ! %

&&#
'

$
#

(! %

& )%

&

! (%! %

'

!&!
*!

!$!

$! !#

#)

# '
'

! %

+%
#

/ % #)! &

+%
)&

&#
!&! ! #/

# ''! !

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:45 AM

CCHR's Leadership

1 of 2

http://www.cchr.org/about-us/what-is-cchr/leadership.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 52
26 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

HOME ABOUT US CCHR'S LEADERSHIP

ORDER
)

7 + 6

7 + 6

CCHR'S LEADERSHIP

SUBSCRIBE
TO CCHR NEWS

"

2 3

FREE INFORMATION KIT


AND DVD

&

/ -

.#

/ 01

". #

/ 01

! # 31 4. #

/ 01

5". #
2

"

/ 01

.#

/ 01

5". 6
/

Restoring Human Rights and


Dignity to the Field of Mental
Health

Order a Free
Citizens Commission on
Human Rights Information Kit

7 (

.( 8

"

9" 0

3 6

7 (

&

!)
.+

!)

.(

.(

3/

:)
! .%

01

-0

- &

7 9

"
/

"
:

.(

"

: ) 1!
7

. ) 1!

"

4 .(

. ) 1!

! / 6

"
"

3
"

3
3

!"

About Us
What is CCHR?
Accomplishments
Message from the President
Board of Advisors

Leadership
CCHR Financials
Mental Health Declaration
Psychiatry: An Industry of
Death Museum
CCHR Global Locator

CCHR
CHAPTERS WORLDWIDE

# $% $
&
'(

% $%
#

%
% ,

# $% ) *

% *

+ %'
%

)$#

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
24
26
52of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:46 AM

CCHR, Board of Advisors

1 of 2

http://www.cchr.org/about-us/cchr-board-of-advisors.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 53
27 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

ORDER

Amongst other duties, The


Citizens Commission on Human
Rights board of advisors provides
expertise from its members
professions, including testimony
before state and federal hearings
in the name of civil rights and the
eradication of psychiatric abuse.

HOME ABOUT US BOARD OF ADVISORS


SUBSCRIBE
TO CCHR NEWS

( 6 5

CCHR BOARD OF ADVISORS


!"

& &%

##&$$&

##&$$&
' $&

$$ -

!" &

FREE INFORMATION KIT


AND DVD

& " $'

$) * +,

*$

&(&*
&

.$

(&$

$)

$)

" #

(&$&

* &

*&#&

& "$

" & -

**

$$&

)'

&(& & $ !" , *$ &

$)

* ' & & $)


&( $
-

& ,)

0
% $%

$$&

& $&

&$$

!" # $

$) &

& &

(& +$) ' &

##&$$&

$- 1 $-

&$ + ** (

&

&$$

* &

$ "

-$, "&

&$

' $ $)
0 1&

&

$&

" &
-

&

$#
*& &

Accomplishments

Leadership

CCHR Global Locator

& * $
" -

*-

$$&

*$

-$, "&

*
)

$) &

**

&

&$ $ "
&

- $&

$) ( *

$)

(& &

, -",$& &

&

' $

&

" $

" *

', -$, "&

&

**

(&$&
& (& &

-",$&

"

& $$

'

**, &

&

*,

& &

&&

&*&

$ "
$ &

$$&

$&

,-

"

&(&*

#-* &

"$ &$

"

&

-$, "&

** #

&

&

$
'

& $) " #

*-

&

& $
&*

-$, "&
&

*
*

" $ & )

&(&* *&'

*&

$ &'

(, #

$$

( &

" +$
&
' "&

" $

- '*& &%

$&( # "

- $

* " &

&$&
"

&$ &'

" # "

" # "

- &

$
&$ &'

5 #-* )

,$

&
'
$

"

&

'

$) " *-&

#&

" (

"

"

&$

$$

+& "

$)

& )
# ," * &

#- &

"

& $ $ + ** $

(&$&

-$, "&

$$&$ &

$)

&

-$, "&

&

"

&

- &#

&$ )

#
,$)

&

$ "

& ,) &

*& #

$)

$
&

*,$&$

&&
&

Psychiatry: An Industry of
Death Museum

"

, -",$& &

5- $

Board of Advisors

Mental Health Declaration

&

$$) +& ")

* ' & ( *(

&

2$ - '*&

$ -$, "&

$"
'*&

&$

' $ )

Message from the President

CCHR Financials

$ $)

& *$

$#

# #'

&$$

&

-$

&
*

&

& & *$)

About Us

&$* &( &$$

$$

+ &&

$ '

* # #'

-$, "&

Order a Free
Citizens Commission on
Human Rights Information Kit

&$*

,*

&

$) (&$& &

(&$&

Restoring Human Rights and


Dignity to the Field of Mental
Health

What is CCHR?

&

& $
&$ )

$ $

"

)
)
*$

'

##&$$&

CCHR
CHAPTERS WORLDWIDE

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
25
27
53of
of
of 27
29
55

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:48 AM

CCHR: get the truth psychs dont want you to know

1 of 2

http://www.cchr.org/about-us/message-from-the-president.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 54
28 of 55
29

ABOUT US

VIDEOS

TRUTH ABOUT PSYCHIATRY

ALTERNATIVES

TAKE ACTION

ORDER

In addition to combating mental


health abuses throughout the
world, CCHR International
provides educational resources for
citizens of all nations, including its
on-site Psychiatry: An Industry of
Death Museuman in-depth tour
which lays bare the destruction
wrought by psychiatrists upon
every sector of society.

HOME ABOUT US MESSAGE FROM THE PRESIDENT


SUBSCRIBE
TO CCHR NEWS

$%

"*$
,

&' (

$ & '"
)

&- ' %

"

$ & '"

0"

1 0 02

"

" "

'

' )

"$ & '

"

%& "

'

* "
%

"

- ' $

))

What is CCHR?

"
%

* ("

)
8

" %

'

+
7

&

"

% */"

'
'

$ & '"

"

"

2 ! ' $

*
*

%%& "%%

'

'
"

! & '"

"

"

%% '

- +'

"))

$ & '"

6 *$% - "

" "

"

"

5:

' $

-+

"

4/ 6+

" 0

%
*

' /

5 ' (

*" "

9/%

' +

"(" &

"

'

&

% /

"

"

'"% % / %

&$
' '

%*
4

'"%

0 )" "

"

% /

'

&

'

'"*

'

%
%

/ '"
"

'

% $

"/

% (

(" %

* %

&

"
)

"/

$"

"/

%&
"
) '

) $ & '"
%

Accomplishments

"

$ & '"

' %

' *

"

'

"

' ) ' "

-$

'

" "( - $ & '

$ & '"

* ) '

%%

'

) '

'

8" )%

About Us

"

'

% /
$

'

"/

"* %

+' '

"/

%- $

-+ +

Through CCHRs Work

%& * '

/ +

" )

Message from the


President

1
%

' )

)
"

"

"(

%& )

* "

"

'
' +

" %

" (

"
""

) ' " %")

*" '

%&

**

* $

.'

"))"

&'

*
&

FREE INFORMATION KIT


AND DVD

Order a Free
Citizens Commission on
Human Rights Information Kit

7 6

MESSAGE FROM THE PRESIDENT


#

Restoring Human Rights and


Dignity to the Field of Mental
Health

5
" "

$" "

'
% -

"

" %%& % ' %


'"%

4"

*"

(" "
-0

+%
'

% +'"%

' (

&- $

"

" (" % " )

;
* "

;"

%& /& $

Board of Advisors

(" "

'

%% ' )

*/

) (" "* +'

'

" 4

) $ & '"

%& %

"

'"

+ $

' '

'$

"/%&
%

&

Leadership
CCHR Financials
) ' *

Mental Health Declaration


Psychiatry: An Industry of
Death Museum
CCHR Global Locator

$$

"

8/"%%"

"

"*$
&

/"/% -: ' 0"


) ' =

$ ' %

&

"
/>

'"

* ) "

"
"
'
-

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
26
28
54of
of
of 27
29
55

$ & '"
*

" "
"/

"(

+ /

"

%#

" '
$

&"

'

. 4 -)
% )#
(

% ) $ & '"

4 )

"

6 *$% - ' $ & '"

*$%

"

% 0"
$
"

6"

/"

"%&

0 # < 7
/& /
)"

( /%
&*$ *

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:50 AM

CCHR: get the truth psychs dont want you to know

2 of 2

http://www.cchr.org/about-us/message-from-the-president.html

Case 5:15-cv-03984-JCJ Document 45


38 Filed 04/29/16
04/18/16 Page 55
29 of 55
29
CCHR
CHAPTERS WORLDWIDE

'*

"

% "

"

"

"

"

/>
%

%"

%%& (

&

*- ")

' (
"(

$"

'

%'

("

@& *

"

/"%%"

%"F"

"
+" '

*"%%"

$
$

4 %"

-" $

" '*

"

8!

' $ & '"

&'

"

'

' "
"

7 "

&
"

%0

"

$ %" &

' % +

$ "

"

"%

" '

'

+" '

' 4"

" %
"

%-

%"F"

"

"("

' "

'

"
"

"(

) $ & '"

) $ & '"
%

"%& /

5) %

"

" ' - +'" '

"

& "

"*"

"

"

'

' %% /

" "F

"(

' "

" '

&
%

% / % -

* ( &

"5
""

&

"

"F

' +
&

" ( %

&

% - '

* '

6 *$%")"

' *

" '
' " ) *"%"

%"
-'

&

%% (

' " " '

" (" "*

"

" * "F"

& )* %
$" % )

@ A. ! C

**"

. C

!A@

7 .<

. D

$
*

-) %

G
"*$ "

% /
*

-/

-$ "

%
'

<0

%- " ' *

'

%& ) %% "

. A.
.

&

"

'"%

4 +" ' *

.'

) +' *

'

$ & '"

/>

% + -/

'&

@ A. A

$"

'

? +

A "(

'&$ +" ' +'" ' $ & '"

"

$ & '

*"%%"

")" *& '

&

"

*$ "
-

)*

*"%%"

"$ "

$"

"

%'

%& % / %

$ $

'

'
"

' /

%'

*"

' *

-$ "
*

8*

&

"

"

4"

%/ )

)"

) ' % +-:

(" %

**" *

"

"

"

'

' (

'"%
! & '"

&

-:
H

" '

"

/"%" &
*

8 %%

.'

("

' %% /

"

' *

"

+" ' ' A "

87

"

6$
"

'

"

% +"

/ '>

- ' 0 #)

%-$ & '

"

% "

"

("

$% +

& " "%%

% )% + - '"

4)

&

/% * - $ & '"

*$

&$

"

)"

' 0 # .'

'*

*" "

) ' " %"(

* "
'

&

"'

*"

)
' /

"

%%& "%%-

* 4 " "

E"

"

/ ' ("

'

' "
+%&

)"

%&

'

- " ) "%

*/"

'

+"

'

' 0 # @& '"

"

7 6
'

5 ? 4

" '

"

Stan McLachlan
Sara
J. Caterbone
Caterbone,
& Clipper
Story
Targeted
and
Stadium
Individual
Evidence
Contract
of
Evidence
a TI
TargetedPage
Page
Page
Individual
27
29
55of
of
of 27
29
55

%%

" '

! "(

& ! %" &

Saturday,
Friday,April
April 16,
29, 2016
11/6/2015 12:50 AM

You might also like