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Authorized by: No Answer on File

Submitted by: Stan Caterbone

Pro se

Pro se

Transaction ID: 59968810


Transaction Option: File a New Case

Authorized: 12/17/2016 9:09:00 AM

Division:
Court: PA Lancaster County Court
of Common Pleas
Case Type: Complaint
Case Number:

Case Class: Civil


Case Name: STAN J CATERBONE v. Steven P. Caterbone re PROTECTION
FROM ABUSE or PFA PETITION December 17, 2016

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STAN J CATERBONE v. Steven P. Caterbone re


PROTECTION FROM ABUSE or PFA PETITION December
17, 2016
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12/17/2016 9:12 AM

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page 2
8 of 46
70
30

Wednesday
Monday
Friday October
September
August
17,
31,
2,
2016
2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

1250 Fremont Street, Lancaster, PA 17603

Steven P. Caterbone

3000 Coral Way, Unit

, Coral Gables, FL

October 17, 1952


Retired

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page 3
9 of 46
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30

Wednesday
Monday
Friday October
September
August
17,
31,
2,
2016
2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page
Page10
4 of
of46
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Monday
Friday October
September
August
17,
31,
2,
2016
2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page
Page11
5 of
of46
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Monday
Friday October
September
August
17,
31,
2,
2016
2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page
Page12
6 of
of46
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Monday
Friday October
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2,
2016
2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

Page
Page13
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Friday October
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2,
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2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

June-July-August of 2015
1250 Fremont Street, Lancaster, PA 17603

DEFENDANT DID ON OCCASSIONS THREATEN THE PLAINTIFF BY MAKING FISTS AT THE PLAINTIFF
WHILE EATING BREAKFAST. DURING SAME SAID PERIOD DEFENDANT DID MAKE ALLIANCES WITH
THE OCCUPANTS OF 1252 FREMONT STREET WHILE SAID OCCUPANTS WERE MAKING THREATS,
HARASSING AND STALKING THE PLAINTIFF.
ON AUGUST 26, 2015 DEFENDANT DID MOVE WITH 3 DOGS TO CARLISLE, PENNSYLVANIA TO LIVE
WITH OUR BROTHER DR. PHILLIP CATERBONE UNTIL DECEMBER OF 2015 WHEN DEFENDANT MOVED
HOME TO CORAL GABLES, FLORIDA.
FROM 2010 UNTIL THE PRESENT AND WHILE LIVING AT 1250 FREMONT STREET THE DEFENDANT
HAS NEVER MADE ANY FINANCIAL CONTRIBUTIONS TO ANY HOUSEHOLD EXPENSES OR CAPITOL
IMPROVEMENTS, INCLUDING BUT NOT LIMITED TO PROPERTY TAXES, INSURANCE, ELECTRIC,
OR ANY UTILITIES YET STILL MAINTING A 25% OWNERSHIP AND WHILE HAVING SOME $100,000
IN CASH ASSETS.

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

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Page14
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2,
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2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

1250 FREMONT STREET, LANCASTER, PENNSYLVANIA 17603

FOR PAST 6 YEARS.

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

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2,
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2016

Is Lancaster
Is Lancaster
County,
County,
the COMMONWEALTH
the COMMONWEALTH
or the
or the
U.S.
U.S.
Government
GovernmentBehind
BehindThis?
This?

LISTED IN ATTACHED LETTER, WHICH IS SOME $9,000.00

Letter to Stevev.Caterbone
CATERBONEv.
CATERBONE
Caterbone
Caterbone

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2016

Is Lancaster County, the COMMONWEALTH or the U.S. Government Behind This?

CHAPTER
DIVIDER

CATERBONE v. Caterbone

Page 12 of 46

Monday October 17, 2016

Case Is
5:15-cv-03984-JCJ
Document
62 Filed 06/11/16
Page
5 of 77 Behind This?
Lancaster County, the
COMMONWEALTH
or the U.S.
Government

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
scaterbone@live.com
717-669-2163

December 28, 2015


To:
Re:

Steve, Phil, and Mike


Insurance, Taxes, and Improvements to 1250 Fremont Street

Alright Guys,
Here is the problem. Due to the fact that I have to file court cases in order to
protect my property, my claims in federal court, my money, my rights, etc., I have
been having to spend money that is not my responsibility nor is it my fault. I have
hackers literally stealing my money on a daily basis; through fraudulent charges to
my bank accounts, paypal account, etc.,. In addition I have put a considerable
amount of my money into the improvements at the house, at least some $4,000.00
this year; the paving, the painting, the repairs to windows, the landscaping, etc.,
I also spent at least $1,000.00 of my money for the probate of Mom's Will and
the transfer of the Deed to our names. In addition I went through my records and
found that in 2010 I paid back taxes of some $3,000.00, all while I was paying
current taxes, while Mom paid the one tax, I paid the other two. In 2011 I started
paying 100% of the property taxes and homeowners insurance.
To date that amount of monies totals about $23,500.00. That includes the
3,000.00 for back taxes, $1500.00 for the taxes I split with Mom in 2010, and about
3,000 per year for 2011, 2012, 2013, 2014, and 2015, and the improvements. Now,
I should be able to get about $500.00 back from the PA Property Tax Rebate
Program.
Since we are all on the deed, and you all get the appreciation of the property,
we should start splitting the taxes and homeowners insurance in equal shares. When
I get reimbursed for my legal fees, accounts receivables, etc., in courts, I will take
over the payments my self.
So attached is the homeowners bill for 2016 and the remaining 2015 taxes
that I did not pay yet. I need about $600.00 from each of you.
If you guys have a problem, then consider signing the deed to me and I will take
over all of the payments.

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

Page 13
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2016

Case Is
5:15-cv-03984-JCJ
Document
62 Filed 06/11/16
Page
6 of 77 Behind This?
Lancaster County, the
COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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Friday October
September
17,2,
2016
2016

Case Is
5:15-cv-03984-JCJ
Document
62 Filed 06/11/16
Page
7 of 77 Behind This?
Lancaster County, the
COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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17,2,
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2016

Case Is
5:15-cv-03984-JCJ
Document
62 Filed 06/11/16
Page
8 of 77 Behind This?
Lancaster County, the
COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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2016

Case Is
5:15-cv-03984-JCJ
Document
62 Filed 06/11/16
Page
9 of 77 Behind This?
Lancaster County, the
COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
10 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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2016

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62 Filed 06/11/16
Page
11 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
12 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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Is Lancaster County, the COMMONWEALTH or the U.S. Government Behind This?

CHAPTER
DIVIDER

CATERBONE v. Caterbone

Page 21 of 46

Monday October 17, 2016

Case 5:15-cv-03984-JCJ
62 Filed 06/11/16
Page
67 of 77 Behind This?
Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

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62 Filed 06/11/16
Page
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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

Page 26
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62 Filed 06/11/16
Page
72 of 77 Behind This?
Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

CATERBONEv.
CATERBONE
v.Caterbone
Caterbone

Page 27
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62 Filed 06/11/16
Page
73 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

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 28, 2016
Financial Fraud by the Lancaster County Tax Claim Bureau

See the attached documents.

______________/S/____________
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

Lancaster County
CATERBONEv.
CATERBONE
v.Caterbone
Caterbone
Financial Fraud

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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

Lancaster County
CATERBONEv.
CATERBONE
v.Caterbone
Caterbone
Financial Fraud

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Is Lancaster County, Document
the COMMONWEALTH
or the U.S.
Government

Lancaster County
CATERBONEv.
CATERBONE
v.Caterbone
Caterbone
Financial Fraud

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62 Filed 06/11/16
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76 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

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; vandalism 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.

Lancaster County
CATERBONEv.
CATERBONE
v.Caterbone
Caterbone
Financial Fraud

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62 Filed 06/11/16
Page
77 of 77 Behind This?
Is Lancaster County,Document
the COMMONWEALTH
or the U.S.
Government

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

Lancaster County
CATERBONEv.
CATERBONE
v.Caterbone
Caterbone
Financial Fraud

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September
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2016

Is Lancaster County, the COMMONWEALTH or the U.S. Government Behind This?

CHAPTER
DIVIDER

CATERBONE v. Caterbone

Page 33 of 46

Monday October 17, 2016

Is Lancaster County, the COMMONWEALTH or the U.S. Government Behind This?

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

FAMILY HISTORY OF ASSAULT, LIBEL, AND SLANDER

1.

On July 6, 1987, PLAINTIFF telephones Dr. Al Schulz, psychiatrist at St. Joseph Hospital,
and client of PLAINTIFF's in order to thwart the allegations of insanity. Dr. Al Shulz had
disclosed that several persons, including Mary Lynn Dipaolo and Jere Sullivan had called
him concerning PLAINTIFF's behavior and activities.

2.

From the allegations, Dr. Shulz advised that PLAINTIFF was suffering from illusions of
grandeur, and prescribed Lithium treatment, and to return to Lancaster for consultation.
PLAINTIFF insisted that the allegations were purely fabricated, and that no one had any
legal right to interfere with his business and or legal affairs, let alone his confidential
medical records.

3.

On July 6, 1987, PLAINTIFF contacts David Drubner, of Boston, Ma, a friend of PLAINTIFF's
brothers Mike, and an attorney.

During the conversation, David Drubner questions

PLAINTIFF about "taking some medication", and supports the allegations of insanity.
4.

On July 17, 1987 PLAINTIFF travels to Hollywood, California to meet and visit with Ted
Gamillion and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted
Gamillion had previously solicited the consulting of PLAINTIFF in order to help reorganize
the financing of the film studio, after earlier arrangements in North Carolina had gone sour.
PLAINTIFF had spent several days visiting and touring the studio. Ted Gamillion agreed to
allow PLAINTIFF to represent the studio in order to secure the required financing.

Ted

Gamillion provided PLAINTIFF with substantial amounts of confidential financial, legal, and
tax documents for the project.
5.

During the visit, Marcia Silen had disclosed to PLAINTIFF that Scott Robertson had made
allegations of insanity about him (PLAINTIFF) to persons at Power Station Studios and and
Flatbush Films.

CATERBONE v. Caterbone

Page 34 of 46

Monday October 17, 2016

Is Lancaster County, the COMMONWEALTH or the U.S. Government Behind This?


6.

In the following days, PLAINTIFF had made numerous telephone calls to local, state, and
federal authorities, for intervention and help regarding all of the preceding events and
circumstances.

The following is a brief description of each: Manheim Township Police

Department, responded "what bank branch repossessed your aircraft"; Pennsylvania State
Senator Gib Armstrong, responded, "I will call the Pa Attorney General's Office and have
them call you; the Federal Bureau of Investigation (FBI), the Philadelphia-based field
office; U.S. Representative Robert Walker (R-Pa), a detailed and explicit conversation with
Mrs. Robert Walker, who would only advise PLAINTIFF to put his situation in writing and
submit it to the Congressman in his Washington, D. C. office. In addition: David Wouls
(Executive Vice President of the Lancaster chamber of Commerce & Industry), PLAINTIFF
talked at length, and in detail, making allegations of misconduct with members of the
same; National Association of securities Dealers (NASD), in Washington, D.C., PLAINTIFF
discussed the securities related violations. And also: the

Securities & Exchange

Commission (SEC), also in Washington, D.C., and discussed securities laws violations; the
Pennsylvania Securities Commission, of Harrisburg, Pa, discussed the implications of
PLAINTIFF's illegal lock-out, and his legal and formal positions, including incorporating
officer of Financial Management Group, Ltd., PLAINTIFF received no support or follow-up
communications concerning all of the above requests, despite his apparent emotional
duress, and extreme situation.
7.

On July 2, 1987, The PLAINTIFF negotiates with Romar Aviation to provide pilot; storage;
and insurance with his aircraft after many very questionable occurrences at Lancaster
Aviation, just a few hundred feet away. The PLAINTIFF secures insurance and pays $1,000
to Romar Aviation for the flight to Stone Harbor and insurance, which was conducted by
Victor M. of Romar Aviation. In addition, at the referral of Victor, The PLAINTIFF calls Sam
Goode, of Sam Goode Assoc., to bind insurance for the aircraft. Sam Goode Binds the
insurance and instruct The PLAINTIFF to mail a payment of $750. The conversation took
place in Romar Aviation, at the time the $1,000 was paid to Victor. The PLAINTIFF loads his
aircraft with all of his personal and business files to be transported to the Cape May County
Airport, just a few miles outside of Stone Harbor, in the morning of July 4.

8.

In July and August of 1987 Mr. Robert Kauffman, President, had several meetings with
Millard Johnson, client of PLAINTIFF since 1982, in efforts to coerce Millard Johnson to
provide false statements to a bonding company that a legitimate loan from Millard Johnson
to the PLAINTIFF was instead an act of embezzlement of $25,000 of funds that were
transferred to the PLAINTIFF for an investment. Mr. Millard Johnson testified in person on
September 29, 1987 before Mr. Howard Eisler of the Pennsylvania Securities Commission in
a recorded interview and attested to the preceding. Mr. Millard Johnson refused and
notified Mr. Robert Kauffman that his attempt was a serious crime.

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9.

Mr. Kauffman and Mr. Michael Hartlett, a principal and partner of Financial Management
Group, Ltd., contracted with an insurance company on June 29, 1987 an errors and
omissions insurance policy for corporate officers of Financial Management Group, Ltd., in
an effort to collude, conspire, and defraud that insurance company of a claim, while at the
same time committing slander, libel, and conspiracy to extort the PLAINTIFFs stock
holdings, and all other business interests.

10.

On July 24, 1987, Michael M. Hartlett sends a letter to all creditors of Financial
Management Group, Ltd., informing them that stated the following: The PLAINTIFF is no
longer an officer of the corporation; he was removed from office on July 1, 1987; he had
been purchasing items under Financial Management Group, Ltd., and obtaining corporate
discount and rates; and formally notifying them that The PLAINTIFF had never had the
right to purchase items through Financial Management Group, Ltd., or make corporate
commitments on behalf of Financial Management Group, Ltd., or contract or in any way
obligate Financial Management Group, Ltd.,.

11.

Mr. Michael M. Hartlett engaged in slander, libel, defamation of character, conspiracy to


commit fraud, conspiracy to commit Count IV - extortion, interference with business
relations, and interference with business contracts.

12.

On July 7th, 1987, the PLAINTIFF contacts the law firm of Capello & Foley, of Santa
Barbara, California.

The PLAINTIFF had conducted research (American Bar Association

Journal) in "Lender Liability", which had became a very popular legal issue, where banks
participate in illegal activities resulting in the financial ruin of it's borrowers.

The

PLAINTIFF intended to file suit against Commonwealth National Bank (Mellon Bank) for the
illegal and unjustified repossession of his aircraft. The PLAINTIFF discussed the case briefly
with Diane Campell that day, and The PLAINTIFF made arrangements to deliver supporting
documents to the office in Santa Barbara the following week, while visiting with Gamillion
Studios, in Hollywood.
13.

On July 8, 1987, A formal notification of the termination of The PLAINTIFF's Registered


Representative Securities license with the Planners Securities Group Inc., of Atlanta, GA is
received, with a "cc: Robert Kauffman".

14.

Planners Securities Group, Inc., engaged in conspiracy to commit Count IV - extortion,


conspiracy, fraud, libel, defamation of character, slander, Count IV - extortion, interference
with business relations, interference with business contracts, and had violated several antitrust violations.

15.

No explanation was provided, or any reasons for the termination. The PLAINTIFFs reprisal
for disclosing criminal activities to the proper authorities is that he will illegally loose his
privilege to sell securities without any merit.

CATERBONE v. Caterbone

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16.

On July 8, 1987, The PLAINTIFF's brothers, Steve, Phil, Mike, and Tom, arrive unexpectedly
and uninvited at

the residence of The PLAINTIFF's in Stone

leave until The PLAINTIFF agrees to take Lithium and return

Harbor, NJ, and refuse to


to Lancaster to undergo

treatment by Dr. Al Schulz, for mental illness.


17.

Steve Caterbone, Phil Caterbone, Mike Caterbone, and Tom Caterbone had engaged in
conspiracy, libel, slander, defamation of character, conspiracy to commit Count IV extortion, interference with business relations, interference with business contracts,
invasion of privacy, and civil trespass.

18.

On July 9th, 1987, The PLAINTIFF receives a notice by regular

1st class mail from

Commonwealth National Bank (Mellon Bank) regarding the repossession of 9 days prior.
The following reasons are given for the repossession: Failure to provide adequate
insurance; Removal of aircraft from Lancaster Aviation; Intended plan to fly aircraft to
Florida without prior written notice.
19.

Commonwealth National Bank (Mellon Bank) engaged in violations of lender liability by not
providing advanced notice of the repossession with any opportunity for the PLAINTIFF to
cure any legitimate deficiencies in the lending agreements.

20.

On July 10, 1987, the PLAINTIFF receives a formal notarized notification from Dr. and Mrs.
William Umiker of Financial Management Group, Ltd., removing The PLAINTIFF as the
former Trustee for their Estates.

21.

On July 10, 1987, Mr. Robert Kauffman also sends a personal letter to all of The
PLAINTIFFs clients informing each and every one that he has moved to Stone Harbor, NJ;
that he may not handle investments at all; and that people close to The PLAINTIFF had
requested that he, Robert Kauffman, personally service his clientele.

22.

Robert Kauffman engaged in Count IV - extortion, fraud, libel, slander, defamation of


character, conspiracy to commit Count IV - extortion, interference with business relations,
interference with business contracts, invasion of privacy, and civil trespass, and violated
several anti-trust statutes.

23.

On July 15, 1987 the PLAINTIFF travels to Boston, Massachusetts to research lender
liability and other legal matters in a law library of Suffolk Community College.

24.

On July 16, 1987, the PLAINTIFF travels to New York, from Boston, MA, to visit with Bob
Walters of Power Station Studios, to discuss the allegations of Blackmail, and to find out
who is involved, including Scott Robertson and Power Station Studios.

CATERBONE v. Caterbone

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25.

On July 17, 1987, the PLAINTIFF travels to Hollywood, California to meet and visit with Ted
Gamillion and Gamillion Studios (Film Studio), and Marcia Silen of Flatbush Films. Ted
Gamillion had previously solicited the consulting of The PLAINTIFF in order to help
reorganize the financing of the film studio, after earlier arrangements in North Carolina had
gone sour.

The PLAINTIFF had spent several days visiting and touring the studio. Ted

Gamillion agreed to allow The PLAINTIFF to represent the studio in order to secure the
required financing.

Ted Gamillion provided The PLAINTIFF with substantial amounts of

confidential financial, legal, and tax documents for the project. During the visit, Marcia
Silen had disclosed to The PLAINTIFF that Scott Robertson had made allegations of insanity
about him (The PLAINTIFF) to persons at Power Station Studios and at Flatbush Films.
26.

The PLAINTIFF discusses the illegal repossession and other related matters, however
during the conversation, becomes suspicious when Bob Walters and Tony Bongiovi disclose
that the "Digital" Movie project is suddenly suspended until a later time.

27.

On July 21, 1987, At 2:30 pm The PLAINTIFF visits the law firm of Capello & Foley, in
Santa Barbara, California, and delivers 3 large blue binders for Diane Cambell and attorney
Barry Capello to review, concerning his allegations of dire violations of lender liability with
specific regards to the illegal repossession of his aircraft by Commonwealth National Bank
(Mellon Bank). The PLAINTIFF research the law firm of Capello & Foley at the Suffolk law
library and learned that it was the leading law firm in the nation leading the way in
violations of lender liability litigation.

28.

The law firm of Capello & Foley and the PLAINTIFF had numerous communications,
although there was never any commitment for representation by Capello & Foley, it is
alleged that the law firm engaged in conspiracy, collusion, interference with business
contracts, interference with business relations, and had attempted to thwart and cover-up
the PLAINTIFFS Federal False Claims Act complaint by not acting in good faith with the
solicitation of the PLAINTIFF.

29.

On July 24, 1987 The PLAINTIFF conducts a three (3) hour meeting at his residence in
Stone Harbor, NJ, with attorney Lew Schweller regarding legal action concerning all events
and activities of the prior days and months.

The PLAINTIFF also gives Lew Schweller a

$500.00 retainers fee, for his representation.


30.

Lew Schweller engaged in conspiracy, collusion, interference with business contracts,


interference with business relations, and had attempted to thwart and cover-up the
PLAINTIFFS Federal False Claims Act complaint.

31.

On July 24, 1987, Attorney Joseph Roda invoices The PLAINTIFF $527.00 for the time and
services of July 1 & 2, 1987.

CATERBONE v. Caterbone

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32.

On July 30, 1987, The PLAINTIFF had paid $600 to Dr. Levine, a Psychiatrist from North
field, New Jersey, for an objective evaluation of his mental state of mind, in order to prove
the fabricated allegations of 'insanity". Dr. Levine had conducted a 2-hour meeting in his
residence in Stone Harbor, NJ, and required The PLAINTIFF to complete the Minneapolis
Multiphase Personality Inventory (MMPI).

The PLAINTIFF completed the test, and

immediately returned it to Dr. Levine. After several weeks without any communications
from Dr. Levine, The PLAINTIFF had called for the results. Dr. Levine had explained that he
had conducted telephone interviews with members of The PLAINTIFF's family, without
notice or consent, in addition to the original request of The PLAINTIFF to conduct an
objective and confidential examination. In addition, Dr. Levine prescribed Lithium drug
therapy, and disclosed a diagnosis of Bi-Polar Mood Disorder.
33.

Dr. Levine engaged in Count IV - extortion, conspiracy to commit fraud, defamation of


character, slander, libel, and obstruction of justice.

34.

On August 6, 1987, the law firm of Appel, Yost & Sorentino, of Lancaster, Pa., sends a
formal notice to The PLAINTIFF, demanding the return of a facsimile machine leased from
the ACM Company of Lancaster, Pa. Attorney Appel advises The PLAINTIFF that it is the
property of Financial Management Group, Ltd., and should be returned at once or legal
action will follow.

35.

Appel Yost & Sorentino and Attorney Appel engaged in fraud, collusion, libel, slander,
defamation of character, conspiracy to commit Count IV - extortion, interference with
business relations, interference with business contracts.

36.

On August 7, 2007 the PLAINTIFF receives a Credit Report from the Credit Bureau of
Lancaster County as requested. The credit report up to the date of August 1, 1987 verifies
and confirms that his credit report was excellent, without any blemishes. The history of all
accounts was "paid within 30 days, or as agreed".

37.

On August 8, 1987, John M. Wolf, Executive Vice President of Commonwealth National


Bank (Mellon Bank) sends The PLAINTIFF a formal letter advising that the repossession of
July 2, 1987 was both lawful and appropriate, and declines to accept a settlement of $5
million for lender liability violations.

38.

On August 10, 1987, the PLAINTIFF receives a facsimile from the Board of Directors of
Financial Management Group, Ltd., signed by Robert Long as The FMG Board of Directors
threatening to file criminal charges for "embezzlement (we have checks to prove it),
burglary, employee theft, corporate opportunity and slander against our firm".

CATERBONE v. Caterbone

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39.

Financial Management Group, Ltd., engaged in obstruction of justice, in unfair competition,


wrongful interference with contracts, trespass to person, criminal trespass, forgery, undo
influence, conspiracy, embezzlement, Count IV - extortion, mental duress, slander,
defamation of character, wrongful interference with business relations, and violated several
bylaws of Financial Management Group, Ltd.,

40.

On August 12, 1987, Yolanda Caterbone, mother of The PLAINTIFF, Steve, Phil, Mike, and
Tom Caterbone, all brothers, arrive unexpectedly and uninvited to the residence of The
PLAINTIFF in Stone Harbor. After several requests for the visitors to leave the premises
are denied, several brothers refuse to let The PLAINTIFF leave the premises.

The

PLAINTIFF flees, and the brothers chase after him. The PLAINTIFF runs into a neighbors
house to ask to use the telephone to phone the police. However, after realizing that he is
scaring the occupants, he flees to the Stone Harbor Police Department, a few blocks away,
in an effort to obtain a restraining order and to lawfully have the unwanted persons vacate
his residence and personal property. Officer Steve Conners and Officer Henry Stanford
refuse the request, and hold The PLAINTIFF in custody.

After some 30 minutes, the

officers, accompanied by Steve and Tom Caterbone, place The PLAINTIFF into a Police
Cruiser and proceed to the Burdette Tomlin Hospital, in Stone Harbor. Upon arriving, The
PLAINTIFF is interrogated and questioned extensively about a "gun".

A hospital staffer

then accuses The PLAINTIFF of an attempted suicide and keep him in custody for 4 or more
hours. An extensive mental health evaluation is performed by another hospital staffer. The
PLAINTIFF is given an ultimatum of signing a contract in order to be released form the
hospital, the contract stated: "I Stanley J. Caterbone will not take my life tonight or at
anytime".
41.

Yolanda Caterbone, Steve Caterbone, Phil Caterbone, Mike Caterbone, Tom Caterbone
engaged in invasion of privacy, civil trespass, obstruction of justice, wrongful interference
with contracts, trespass to person, criminal trespass, forgery, undo influence, conspiracy,
embezzlement, Count IV - extortion, mental duress, slander, defamation of character,
wrongful interference with business relations; and engaged in psychiatric abuse.

42.

The Stone Harbor Police, James Warner (Current Executive Director of the Lancaster
County Solid Waste Management Authority) and Burdette Tomlin Hospital engaged in
obstruction of justice, wrongful interference with contracts, trespass to person, criminal
trespass, forgery, undo influence, conspiracy, embezzlement, Count IV - extortion, mental
duress, slander, defamation of character, wrongful interference with business relations and
engaged in psychiatric abuse.

CATERBONE v. Caterbone

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43.

On August 13, 1987, the PLAINTIFF At approximately 9:30 am, The PLAINTIFF returns to
the Burdette Tomlin Hospital to obtain a formal copy of the incident the preceding night.
After some arguments1 hospital officials provide explicit records of the event, including the
following summary: "Stan was brought to the ER (emergency room) by two brothers and
police.

Police received a phone call from Jim Warner, (872-9081, friend staying at the

Conestoga residence of the PLAINTIFF), who told them he believed Stan planned to take a
gun, go to the beach & kill himself. Client denied any such statement, thoughts or plans.
He has legal and difficult times, financial deals which have fallen through; license to do
financial planning (his business) revoked; repossessed material goods (airplane); being
blackmailed; and several major financial deals (in which he had invested personal funds)
fall through-but NO PROBLEMS! Denied any Depression.
44.

On August 14, 1987, the same family members again arrive unwanted at the residence of
The PLAINTIFF in Stone Harbor, NJ. After another confrontation, similar to the incident of
two evenings before, The PLAINTIFF fleas to the Avalon Police Department for another
attempt to get a restraining order. However, en route, just a few blocks from the Avalon
Police Station, an Avalon Police cruiser pulls The PLAINTIFF over and arrests him for the
following violations:
a. Driving Beyond the speed limit.
b. Driving an unregistered vehicle (all required registration materials were in
Lancaster, PA)
c. Containing an empty beer can in his vehicle (which was at .1 east three days old)

45.

In addition, the Avalon Police Department repossessed his car and locked it in the Avalon
Police

Department

compound,

which

was

his

only

means

of

transportation

and

communication by car phone.


46.

Again, Yolanda Caterbone, Steve Caterbone, Phil Caterbone, Mike Caterbone, Tom
Caterbone engaged in invasion of privacy, civil trespass, obstruction of justice, wrongful
interference with contracts, trespass to person, criminal trespass, forgery, undo influence,
conspiracy, embezzlement, Count IV - extortion, mental duress, slander, defamation of
character, wrongful interference with business relations; and engaged in psychiatric abuse.

47.

The Avalon Police Department engaged in false arrest, false imprisonment, false
statements, civil conspiracy, malicious prosecution and/or malicious abuse of process
claims arising out of the charges and arrest; and (2) civil rights claims under 42 U.S.C.
1983, arising out of the Department's actions or inactions during court scheduled hearings
in 1987.

CATERBONE v. Caterbone

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48.

On August 24, 1987, Robert Kauffman sends a letter to Millard Johnson, The PLAINTIFF's
client, regarding his previous intentions of paying the $25,000 demand note of The
PLAINTIFF to Millard Johnson. Robert Kauffman had previously promised to pay the debt
to Millard Johnson during a meeting. Robert Kauffman, told Millard Johnson to contact the
Financial Management Group, Ltd., attorney, Craig Russell in order to file legal claim, and
formally disclosed that he would: no longer handle any discussions concerning Stanley J.
Caterbone. In the last paragraph, Robert Kauffman discloses "attorney Mr. Patterson, no
longer represents the Caterbone family regarding his pending bankruptcy or guardianship".
The PLAINTIFF never gave any legal jurisdiction or rights to any family member, has never
filed for bankruptcy, was not bankrupt, or even knew of an attorney named Mr. Patterson.

49.

Robert Kauffman and Craig Russell engage in conspiracy to commit fraud, libel, slander,
defamation of character, conspiracy to commit Count IV - extortion, and false statements.

50.

On September 1, 1987, in an attempt to resolve issues, The PLAINTIFF calls Financial


Management Group, Ltd., board member P. Alan Loss and requests a meeting with Robert.
long and Scott Robertson to explain allegations of misconduct of Robert Kauffman and
Michael Hartlett and the illegal lockout of The PLAINTIFF.

P. Alan Loss agrees and a

meeting is set for September 4, 1987 at 10:00 am in the aide Hickory Inn, a mile away
from Financial Management Group, Ltd., The PLAINTIFF requests that the meeting be in
the strictest of confidence.
51.

On September 3, 1987, Attorney Joseph Roda sends The PLAINTIFF a letter requesting
payment of $525.48 in outstanding legal tees for the meetings of July 1 & 2 and copying
charges.

52.

The PLAINTIFF calls Victor of Romar Aviation (no charge) to schedule a charter flight from
Cape May County Airport to the Lancaster Airport for September 3rd at approximately 2:00
pm, the day before the meeting with Financial Management Group, Ltd., executives.

53.

On September 3, 1987, Robert Kauffman calls detective Larry Sigler of the Manheim
Township Police Department to report an alleged Terroristic threat made two days prior, on
September 1, 1987, by The PLAINTIFF between the hours of 9:00 and 1 pm noontime.
Detective Larry Sigler issues a warrant for the arrest of The PLAINTIFF with District Justice
Murray Horton that was issued at about the same time as the arrival of The PLAINTIFF at
Romar Aviation.

54.

On September 3, 1987, Larry Sigler and the Manheim Township Police Department engage
in false imprisonment, false arrest, malicious prosecution and/or malicious abuse of
process claims arising out of the charges and arrest in September 1987; and (2) civil rights
claims under 42 U.S.C. 1983, arising out of the Department's actions or inactions in July
and September 1987, and January 1991.

CATERBONE v. Caterbone

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55.

On September 3, 1987, At approximately 3:00 pm Mary Lynn Dipaolo picks The PLAINTIFF
up at Romar Aviation for a scheduled visit and dinner.

After The PLAINTIFF becomes

annoyed at Mary Lynn Dipaolo's unjustified allegations, The PLAINTIFF borrows her car to
go home to his residence in Conestoga and to go play basketball.
56.

On September 3, 1987, at approximately 7:00 pm, upon leaving the playground, he is


approached by Nancy Arment, Financial Management Group, Ltd., secretary, who is
elaborated and crying, asking "why are you doing this?".

57.

Nancy Arment of Financial Management Group, Ltd., engaged in harassment and


conspiracy to commit Count IV - extortion.

58.

On September 3, 1987, At approximately 9:00 pm, in an attempt to recover additional


stolen personal and business tiles, The PLAINTIFF proceeds to the offices of Financial
Management Group, Ltd., where he is greeted by employee Stacy Waters and allowed to
enter the building. The PLAINTIFF insists that Stacy Walters accompany him throughout
the building as he recovers files in the offices of Robert Kauffman, Michael Bartlett, and
Robert Long. In addition retrieving a Back-Up (Financial Management Group, Ltd., records
and communications) copy of the computer system which he integrated.

Upon leaving,

The PLAINTIFF temporarily disconnect the systems which he had integrated and developed
for Financial Management Group, Ltd., which fall under intellectual property rights. Stacy
Walters assists The PLAINTIFF in loading the tiles in his automobile, and The PLAINTIFF
kisses Stacy Walters goodbye, and awaits for her safe return to the building until leaving.
59.

Stacy Walters engaged in criminal trespass, conspiracy to commit Count IV - extortion,


undo influence, mental duress, slander, defamation of character, and wrongful interference
with business relations.

60.

On September 4, 1987, after midnight, upon entering his residence, the PLAINTIFF is taken
into custody by the Conestoga Police, and requests that the files that he had taken out of
the offices of Financial Management Group, Ltd., be taken along to prove his rights to the
property, and his position within the company.

The PLAINTIFF was then taken to the

jurisdiction of Manheim Township Police, at Where the New Danville Pike meets South
Prince Street, where he is arrested and taken into custody.
61.

On September 4, 1987, at approximately 2:00 am, The PLAINTIFF is arraigned before


District Justice Richard R. Reeser for the following charges: Terroristic threats; burglary;
unlawful restraint; unlawful use of computers; theft by unlawful taking; robbery; and
criminal mischief.

62.

Bail is set at $20,000 and The PLAINTIFF is placed in the Lancaster County Prison. He was
not permitted to post real estate for bail.

CATERBONE v. Caterbone

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63.

The Manheim Township Police Department, Detective Larry Mathias and the Lancaster
County Prison engage in (1) assault, battery, false imprisonment, false arrest, malicious
prosecution and/or malicious abuse of process claims arising out of the charges and arrest
in September 1987; and (2) civil rights claims under 42 U.S.C. 1983, arising out of the
Department's actions or inactions in July and September 1987, and January 1991.

64.

September 5, 1987 -The Lancaster New Era and the Lancaster Intelligencer Journal report
the alleged crimes, reporting that The PLAINTIFF is an ax-employee; that Financial
Management Group, Ltd., sustained $60,000 because of his actions; and that he
threatened 2 female employees.

65.

The Lancaster Newspapers, Inc., engaged in libel, slander, defamation of character,


conspiracy to commit fraud, conspiracy to commit Count IV - extortion, conspiracy to
commit obstruction of justice.

66.

The entire arrests and reports fail to acknowledge that The PLAINTIFF is an individual
lessee of the property, and in accordance with law, still holds all of his offices of PING, Ltd.,
and is the founder of the company.

The above incident further facilitates the ongoing

conspiracy, and publicly discredits The PLAINTIFF in every way, financially, professionally,
and most importantly conveniently supports the continued allegations of insanity.
67.

On September 6, 1987, all attempts to post bail are denied.

Robert Beyer appears for

visitation at the Lancaster county prison, completely unexpectedly and unsolicited. Robert
Beyer offers his services and representation with regards to only defending the criminal
charges.
68.

On September 9, 1987, The PLAINTIFF is given an ultimatum by the Lancaster county


prison authorities, Robert Bayer, Yolanda Caterbone, and Mary Lynn Dipaolo of posting the
required bail only if The PLAINTIFF voluntarily admits himself into the Psychiatric Unit of St.
Joseph Hospital, or remains in the Lancaster County prison.

69.

The PLAINTIFF is released from Lancaster County prison, and immediately escorted to St.
Joseph Hospital and admitted into the Psychiatric Unit.

70.

On September 9, 1987, Yolanda Caterbone, Robert Beyer, and Mary Lynn Dipaolo engage
in conspiracy to commit fraud, false statements, and conspiracy to commit Count IV extortion, obstruction of justice, and false imprisonment.

71.

On September 15, 1987, The PLAINTIFF questions the legality of the ultimatum for posting
bail, and upon learning that it is unlawful, arranges for his discharge - Upon his discharge,
the St. Joseph Hospital administrators learn that Financial Management Group, Ltd., had
terminated his health insurance, and demand payment of $3, 064.60 for the six days of
hospitalization. The PLAINTIFF is not able to pay, and leaves the hospital and returns to his
residence of Conestoga, PA.

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72.

St. Joseph Hospital engaged in collusion to commit fraud, Count IV - extortion, libel,
slander, and defamation of character, false imprisonment, obstruction of justice, and false
statements.

73.

On September 15, 1987, The PLAINTIFF receives an invoice from St. Joseph Hospital for
$3,064.00.

___________/S/____________
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
stancaterbone@gmail.com
717-669-2163

CATERBONE v. Caterbone

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ACTIVE COURT CASES FOR STAN J. CATERBONE, PRO SE LITIGANT

J.C. No. 03-16-90005 Office of the Circuit Executive, United States Third Circuit
Court of Appeals - COMPLAINT OF JUDICIALMISCONDUCT OR DISABILITY re 153400 and 16-1149; 03-16-900046 re ALL FEDERAL LITIGATION TO DATE

U.S.C.A. Third Circuit Court of Appeals Case No. 16-3284 Chapter 11 Bankruptcy
Appeal; Case No. 16-1149 MOVANT for Lisa Michelle Lambert;15-3400 MOVANT for
Lisa Michelle Lambert;; 16-1001; 07-4474

U.S. District Court Eastern District of PA Case No. 16-4641 Petition for Habeus
Corpus; Case No. 16-cv-4014 2005 Conitued Case; Case No. 16-cv-49 Chapter 11
Appeal; 15-03984; 14-02559 MOVANT for Lisa Michelle Lambert; 05-2288; 06-4650,
08-02982;

U.S. District Court Middle District of PA Case No. 16-cv-1751 PETITION FOR
HABEUS CORPUS

Commonwealth of Pennsylvania Judicial Conduct Board Case No. 2016-462


Complaint against Lancaster County Court of Common Pleas Judge Leonard Brown III

Pennsylvania Supreme Court Case No. 495 MAL 2016 Caterbone v. Lancaster County
Residents; Case No. 496 MAL 2016 Caterbone v. Lancaster City Police Dept.; Case
No. 353 MT 2016; 354 MT 2016; 108 MM 2016 Amicus for Kathleen Kane

Superior Court of Pennsylvania Case No. 16-MD-1219 Preliminary Emergency


Injunction; AMICUS for Kathleen Kane Case No. 1164 EDA 2016; Case No. 1561
MDA 2015; 1519 MDA 2015; 16-1219 Preliminary Injunction Case of 2016

Lancaster County Court of Common Pleas Case No. 16-CI-08472 Preliminary


Emergency Injunction for Pain Medications; Case No. 08-13373; 15-10167; 0603349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 16-10157

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