Sunday, July 22, 2007

Disciplinary Counsel Thomas Cahill Implicated in $100,000. Red Cross 9/11 Donation Theft & Fraud Cover Up ...CLICK HERE FOR FULL STORY

BREAKING STORY...... - U.S. Senate sources confirm that Thomas Cahill is named in recent follow up complaints to the United States Senate Sub-Committee that oversees Red Cross matters, and whose members first reviewed, in April of 2006, the initial theft of Red Cross 9/11 donations and the subsequent fraudulent New York State court filings designed to prevent repayment.....

The New York Times broke the story on April 28, 2006 (“Red Cross Quietly Settles Case of a $120,000 Theft” by Stephanie Strom) It turns out the Red Cross “settled” the case by collecting $47,000. from its insurance company after a $50,000 deductible. The $97,000 is still owed.

Cahill became personally involved in a complaint filed against one of the attorneys implicated in the initial fraud designed to transfer assets to avoid any Red Cross or insurance company claim. Sources at the Manhattan Disciplinary Committee indicate that Cahill knew the attorneys personally, whitewashed the complaint, and then sent a personal letter last month indicating that he had been informed that the judge on the case resolved the ethics complaint so he (Cahill) was closing his one-year-old file. Cahill didn’t know, apparently, that there was no judge assigned to the estate since the Surrogate Judge recused himself two years earlier.

The senate source has indicated that we will be provided with a copy of the recent filing, which we will publish upon receipt this week.

41 comments:

  1. Who put Cahill in charge of an ethics committee?

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  2. I knew something stunk at the DDC. I just didn't know what until now.

    I've known a dozen or so lawyers who have had complaints filed against them over the last 5 years.

    There are indeed two sets of standards.

    All I will say is that if a complaint is filed against you, get a lawyer connected to Cahill or Cohen, and everything will be O.K.

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  3. you have to consider that someone might have just gotten to the staff attorney working the complaint, or to the investigator. it might not just be all Cahill's doing.

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  4. another coverup by Tom Cahill doesn't surprise anyone. bye Tom, don't let the door hit you in the arse on your way out. real ethics, fairness, impartiality, and a thing you're unfamiliar with (called the rule of law) all cheer your departure.

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  5. this is too much. please post more sex scandals.

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  6. This old drunk Tom Cahill got rich taking payoffs and covering for the anointed. How sweet it is.

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  7. the sex scandal was just smoke to cover Cahill's other business activities, this is a gigantic scandal and cover up - how has this gone on for so long? Who has been paid off to allow this to happen?

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  8. As a parting tribute to Cahill, OCA should rename the Departmental Disciplinary Committee to "Cahill's Committee on Cover Up & Selective Disciplinary Enforcement." It's the least they can do as thanks for his many years of underhanded and corrupt backroom deals.

    ReplyDelete
  9. And who's going to go back over the last 10 years worth of complaints that passed over his desk? Now, the itegrity of how all of them were handled becomes an issue. Nice job, Cahill, you've created a nice mess for everyone.

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  10. How many times has Tom Cahill been sued and how many complaints have been filed against him? And where are these matters today? Have they all been "lost?"

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  11. And this knucklehead Cahill was overseeing legal ethics in the Bronx and Mahattan?

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  12. You're as hammered as Cahill if you think Pfau will clean up the corruption.

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  13. read the comments on the other related article involving Thomas Cahill and I'm dismayed .... after having looked at the website
    www.iviewit.tv I was shocked .... this is really organized crime with the lawyers and their friends in charge

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  14. When will Cahill be arrested?

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  15. With the Red Cross involved where is Congress? They should be holding hearings at the very least! The public at large needs to know about these bad people! Put them all in jail! This is terrible!

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  16. is there anyone who can turn things around?

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  17. Great work, Tom. How do you sleep at night? What's next?

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  18. Tom Cahill your mother & father would be ashamed of you. I hope you drop dead and a curse is on you, your family and all the blood money that you've taken in payoffs.

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  19. A friend heard Cahill tell a lawyer that he wasn't too worried "about that blog crap" and that he knows who's behind it.

    But, Tommie boy, now that the feds are interested in you, i must ask what's that dripping down your legs?

    FYI: a person (YOU) can still be indicted after they (YOU) retire.
    I'll drink to that, my crooked friend! Enjoy your retirement knowing that you falsly ruined people's lives (and their families) for political reasons.

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  20. The fact the Red Cross is involved and Congress has not done anything is shocking. I will not make any more donations to the Red Cross after reading this.

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  21. I wonder if Mr. Cahill realizes exactly how much damage his improper, and perhaps illegal, acts have caused the legal profession.

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  22. If no one made donations things would happen fast.

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  23. Mr. Cahill’s undermining of the process designed to uphold the integrity of attorney conduct is reprehensible. And yes, it is illegal. I believe Mr. Cahill should be prosecuted.

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  24. While the U.S. Congress is absorbed in the business of 8 ex-U.S. Attorneys, someone should focus on the more serious issue in the Southern District of New York where the U.S. Attorney (Garcia) STOPPED all NY court related corruption probes. By the way, Garcia used to be a clerk for NY's highest judge Judith Kaye.

    Send out the S.O.S. : New York State is a court corruptive mess....AND NO ONE IS DOING ANTHING ABOUT IT. (Hey Carl Rove and Dick Cheyneyboy: here's your opportunity!)

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  25. this is all so blatantly outrageous

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  26. I just read the New York Times article about the Red Cross. Before that I spent 45 minutes on the IviewIt.tv website. What the hell was Tom Cahill thinking? That this story would never get out? I can't believe this.

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  27. who do these mutts think they are?

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  28. This whole matter is a toxic event that will have far reaching effects that no one will be able to contain ....

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  29. STOP giving money to the Red Cross and they will be interested fast!

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  30. Isn't Surrogate Anthony Scarpino the Judge on this case or do I have this wrong?

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  31. Hello Frank Streng the word is that the Feds have something for you, where are you?

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  32. For the greatest denial of due process starting in NY & FL and moving all the way to the DOJ OIG and DOJ OPR for investigation, also at the House and Senate Judiciary Committees, please feel free to call

    By unanimous vote First Department - Order for Formal Investigation & Disposition of Conflicts and Appearance of Impropriety - Unpublished Orders M3198 - Steven C. Krane (former NYSBA President) / M2820 Kenneth Rubenstein and M3212 Raymond A. Joao. Complaint against Steven C. Krane, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel.
    Complaint No. 2004.1883 Steven C. Krane, Esq. - Proskauer Rose LLP Intellectual Property Partner - Former President NYSBA & Officer First Dept. Complaint against Steven C. Krane, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel.
    Case No. T-1689-04 Steven C. Krane, Esq. / Complaint against Kenneth Rubenstein, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel. Case No. 2003.0531 Kenneth Rubenstein & Proskauer Rose LLP. / Kenneth Rubenstein, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel. Case No. T-1688-04 - Kenneth Rubenstein & Proskauer Rose LLP / Complaint against Raymond Joao, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel / Case No. 2003-0352 - Raymond Joao, Proskauer & MLGWS / Complaint against Raymond A. Joao, Proskauer & Meltzer Lippe Goldstein Wolfe and Schlisshel. Case No. T-1690-04 - Raymond Joao, Proskauer & MLGWS /
    Complaint against Thomas Cahill, Chief Counsel First Department Departmental Disciplinary Special Inquiry No. 2004.1122 Martin Gold special investigator.

    These are the case numbers from the Court Orders too the original complaints at the First Dept Disciplinary and then the case #'s for the Second Dept who was supposed to investigate although they never did as conflicts were discovered there at the 2nd Dept too. Second Dept refused to file complaints, or docket them against key members:

    Complaint against Diana Maxfield Kearse, Chief Counsel, Second Department Departmental Disciplinary Committee CASE NO. Kearse refuses to docket her own complaint, Lawrence DiGiovanna refuses and complaint is filed against him.

    Complaint against Lawrence DiGiovanna, Chairman, Second Department Departmental Disciplinary Committee
    Complaint refused formal docketing and disposition by Kearse and Prudenti

    ---------------------------
    florida corruption cases involved
    Florida Supreme Court Case No. SC04-1078 Eliot Bernstein v. The Florida Bar - Petition to investigate Florida Bar complaints due to conflicts of interest and public office violations of Supreme Court Florida Bar Officers

    Florida Bar Case against Christopher C. Wheeler Case No. 2003-51 109 15C. Represented by Proskauer partner Matthew Triggs in violation of his public office rules with the Supreme Court Florida Bar

    Florida Bar Complaint against Christopher C. Wheeler #2 - Complaint Refused formal docketing and disposition, after conflicts and public office violations were discovered in Wheeler #1?

    Florda Bar Complaint against Matthew Triggs, Proskauer Partner & Florida Bar Officer for violating Florida Bar rules and violating Supreme Court Florida Bar office position in representing partner Wheeler in blackout period.� Complaint refused docketing by Bar despite their confirmation that Triggs violated his public office conflict rules.

    Proskauer v. Iviewit / Civil Case No. CA 01-04671 AB
    (At time of Iviewit discovering this law suit that management and shareholders were unaware of, it was not known that these were fraudulent companies set up by Proskauer to steal intellectual property.)

    Judicial Qualifications Committee - Complaint against Judge Jorge Labarga / Case Docket No. 03352

    Florida Bar Complaints Against the Following were refused docketing by the Florida Bar, despite confirmed conflicts of interest

    Kelly Overstreet Johnson - Worked in law firm with main accused Christopher Clarke Wheeler, Esq (convicted in FL for Felony DUI with Injury) brother and handled complaints against Wheeler without disclosing conflict

    John Anthony Boggs - Attempting to justify Triggs conflict and refuse complaint, Boggs cites proposed legislation in letter citing it as law. The difference still would not have absolved the conflicts but it was a good try. Boggs wrote the proposed legislation he cited.

    Eric Turner - FL bar refused to docket, Turner violated almost all disciplinary review rules in attempting to exculpate Wheeler and Triggs. Later when Wheeler was caught with DUI, Turner is published as saying the charges were only misdameanor in nature when it was Felony DUI because of the Injury


    ok - links to help better understand

    www.iviewit.tv you can see images of the car bombing attempt on inventor's life, all documents relating to these cases can be found on the bottom of the homepage.

    http://exposecorruptcourts.blogspot.com/2007/07/court-overhaul-begins-disciplinary.html

    http://exposecorruptcourts.blogspot.com/2007/07/disciplinary-counsel-thomas-cahill.html

    http://www.congress.org/congressorg/issues/alert/?alertid=10065911&content_dir=ua_congressorg

    http://www.congress.org/congressorg/issues/alert/?alertid=10082031&content_dir=ua_congressorg

    That should give you background to the largest denial of due process ever in new york

    An email from the desk of Eliot I. Bernstein @ Iviewit

    Direct Dial: (530) 529-4110



    CONFLICT OF INTEREST DISCLOSURE FORM - Please accept and return the following statement of conflict before continuing further with the body of this document.





    Dear _________________ and any other representative of the ________________ who may come into possession of this document, please take notice of and execute the CONFLICT OF INTEREST DISCLOSURE FORM prior to acting on the message following directly below.



    This conflict of interest form is designed to ensure that the review of the enclosed discourse with the European Patent Office will not be biased by any conflicting financial interest or any other interest by those reviewers responsible for the handling of this complaint with the main alleged perpetrators of the crimes cited in these matters. Disclosure forms with "Yes" answers to either or both of the following questions are requested not to open the remainder of the document and instead forward the matters on to the next available reviewer that is free of conflict that can sign and complete the disclosure and proceed with the unbiased review of the matters.



    I. Do you, your spouse, your dependents or any business partners, in the aggregate have, any direct, or in any outside entity, indirect relation to the following parties to the proceeding of the matters you are reviewing:



    1. Proskauer Rose, LLP

    Alan S. Jaffe - Chairman Of The Board - ("Jaffe"); Kenneth Rubenstein - ("Rubenstein"); Robert Kafin - Managing Partner - ("Kafin"); Christopher C. Wheeler - ("Wheeler"); Steven C. Krane - ("Krane"); Stephen R. Kaye - ("S. Kaye") and in his estate with New York Supreme Court Chief Judge Judith Kaye ("J. Kaye"); Matthew Triggs - ("Triggs"); Christopher Pruzaski - ("Pruzaski"); Mara Lerner Robbins - ("Robbins"); Donald Thompson - ("Thompson"); Gayle Coleman; David George; George A. Pincus; Gregg Reed; Leon Gold - ("Gold"); Albert Gortz - ("Gortz"); Marcy Hahn-Saperstein; Kevin J. Healy - ("Healy"); Stuart Kapp; Ronald F. Storette; Chris Wolf; Jill Zammas; FULL LIST OF 601 liable Proskauer Partners; any other John Doe ("John Doe") Proskauer partner, affiliate, company, known or not known at this time; including but not limited to Proskauer ROSE LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Proskauer related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Proskauer").



    2. MELTZER, LIPPE, GOLDSTEIN, WOLF & SCHLISSEL, P.C.

    Lewis Melzter - ("Meltzer"); Raymond Joao - ("Joao"); Frank Martinez - ("Martinez"); Kenneth Rubenstein - ("Rubenstein"); FULL LIST OF 34 Meltzer, Lippe, Goldstein, Wolf & Schlissel, P.C. liable Partners; any other John Doe ("John Doe") Meltzer, Lippe, Goldstein, Wolf & Schlissel, P.C. partner, affiliate, company, known or not known at this time; including but not limited to Meltzer, Lippe, Goldstein, Wolf & Schlissel, P.C.; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other

    Meltzer, Lippe, Goldstein, Wolf & Schlissel, P.C. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("MLGWS").



    3. FOLEY & LARDNER

    Ralf Boer ("Boer"); Michael Grebe ("Grebe"); Christopher Kise ("Kise"); William J. Dick - ("Dick"); Steven C. Becker - ("Becker"); Douglas Boehm - ("Boehm"); Barry Grossman - ("Grossman"); Jim Clark - ("Clark"); any other John Doe ("John Doe") Foley & Lardner partners, affiliates, companies, known or not known at this time; including but not limited to Foley & Lardner; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Foley & Lardner related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Foley").



    4. Schiffrin & Barroway, LLP

    Richard Schiffrin - ("Schiffrin"); Andrew Barroway - ("Barroway"); Krishna Narine - ("Narine"); any other John Doe ("John Doe") Schiffrin & Barroway, LLP partners, affiliates, companies, known or not known at this time; including but not limited to Schiffrin & Barroway, LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Schiffrin & Barroway, LLP related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("SB").



    5. Blakely Sokoloff Taylor & Zafman LLP

    Norman Zafman - ("Zafman"); Thomas Coester - ("Coester"); Farzad Ahmini - ("Ahmini"); George Hoover - ("Hoover"); any other John Doe ("John Doe") Blakely Sokoloff Taylor & Zafman LLP partners, affiliates, companies, known or not known at this time; including but not limited to Blakely Sokoloff Taylor & Zafman LLP; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Blakely Sokoloff Taylor & Zafman LLP related or affiliated entities both individually and professionally.

    Hereinafter, collectively referred to as ("BSTZ").



    6. Wildman, Harrold, Allen & Dixon LLP

    Martyn W. Molyneaux - ("Molyneaux"); Michael Dockterman - ("Dockterman"); FULL LIST OF 198 Wildman, Harrold, Allen & Dixon LLP liable Partners; any other John Doe ("John Doe") Wildman, Harrold, Allen & Dixon LLP partners, affiliates, companies, known or not known at this time; including but not limited to Wildman, Harrold, Allen & Dixon LLP; Partners, Associates, Of

    Counsel, Employees, Corporations, Affiliates and any other Wildman, Harrold, Allen & Dixon LLP related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("WHAD").



    7. Christopher & Weisberg, P.A.

    Alan M. Weisberg - ("Weisberg"); any other John Doe ("John Doe") Christopher & Weisberg, P.A. partners, affiliates, companies, known or not known at this time; including but not limited to Christopher & Weisberg, P.A.; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Christopher & Weisberg, P.A. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("CW").



    8. YAMAKAWA INTERNATIONAL PATENT OFFICE

    Masaki Yamakawa - ("Yamakawa"); any other John Doe ("John Doe") Yamakawa International Patent Office partners, affiliates, companies, known or not known at this time; including but not limited to Yamakawa International Patent Office; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Yamakawa International Patent Office related or

    affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Yamakawa").



    9. GOLDSTEIN LEWIN & CO.

    Donald J. Goldstein - ("Goldstein"); Gerald R. Lewin - ("Lewin"); Erika Lewin - ("E. Lewin"); Mark R. Gold; Paul Feuerberg; Salvatore Bochicchio; Marc H. List; David A. Katzman; Robert H. Garick; Robert C. Zeigen; Marc H. List; Lawrence A. Rosenblum; David A. Katzman; Brad N. Mciver; Robert Cini; any other John Doe ("John Doe") Goldstein & Lewin Co. partners, affiliates,

    companies, known or not known at this time; including but not limited to Goldstein & Lewin Co.; Partners, Associates, Of Counsel, Employees, Corporations, Affiliates and any other Goldstein & Lewin Co. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Goldstein").



    10. INTEL, Real 3d, Inc. (SILICON GRAPHICS, INC., LOCKHEED MARTIN & INTEL) & RYJO

    Gerald Stanley - ("Stanley"); Ryan Huisman - ("Huisman"); RYJO - ("RYJO"); Tim Connolly - ("Connolly"); Steve Cochran; David Bolton; Rosalie Bibona - ("Bibona"); Connie Martin; Richard Gentner; Steven A. Behrens; Matt Johannsen; any other John Doe ("John Doe") Intel, Real 3D, Inc. (Silicon Graphics, Inc., Lockheed Martin & Intel) & RYJO partners, affiliates, companies, known or not known at this time; including but not limited to Intel, Real 3D, Inc. (Silicon Graphics, Inc., Lockheed Martin & Intel) &

    RYJO; Employees, Corporations, Affiliates and any other Intel, Real 3D, Inc. (Silicon Graphics, Inc., Lockheed Martin & Intel) & RYJO related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Intel/R3D").



    11. Tiedemann Investment Group

    Bruce T. Prolow ("Prolow"); Carl Tiedemann ("C. Tiedemann"); Andrew Philip Chesler; Craig L. Smith; any other John Doe ("John Doe") Tiedemann Investment Group partners, affiliates, companies, known or not known at this time; including but not limited to Tiedemann Investment Group and any other Tiedemann Investment Group related or affiliated entities both individually

    and professionally. Hereinafter, collectively referred to as ("Tiedemann").



    12. Crossbow Ventures / Alpine Partners

    Stephen J. Warner - ("Warner"); Ren P. Eichenberger - ("Eichenberger"); H. Hickman Hank Powell - ("Powell"); Maurice Buchsbaum - ("Buchsbaum"); Eric Chen - ("Chen"); Avi Hersh; Matthew Shaw - ("Shaw"); Bruce W. Shewmaker - ("Shewmaker"); Ravi M. Ugale - ("Ugale"); any other John Doe ("John Doe") Crossbow Ventures / Alpine Partners partners, affiliates, companies, known or not known at this time; including but not limited to Crossbow Ventures / Alpine Partners and any other Crossbow Ventures / Alpine Partners related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Crossbow").



    13. BROAD & CASSEL

    James J. Wheeler - ("J. Wheeler"); Kelly Overstreet Johnson - ("Johnson"); any other John Doe ("John Doe") Broad & Cassell partners, affiliates, companies, known or not known at this time; including but not limited to Broad & Cassell and any other Broad & Cassell related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("BC").



    14. FORMER IVIEWIT MANAGEMENT & BOARD

    Brian G. Utley/Proskauer Referred Management - ("Utley"); Raymond Hersh - ("Hersh")/; Michael Reale - ("Reale")/Proskauer Referred Management; Rubenstein/Proskauer Rose Shareholder in Iviewit - Advisory Board; Wheeler/Proskauer Rose Shareholder in Iviewit - Advisory Board; Dick/Foley & Lardner - Advisory Board, Boehm/Foley & Lardner - Advisory Board; Becker/Foley & Lardner; Advisory Board; Joao/Meltzer Lippe Goldstein Wolfe & Schlissel - Advisory Board; Kane/Goldman Sachs - Board Director; Lewin/Goldstein Lewin - Board Director; Ross Miller, Esq. ("Miller"), Prolow/Tiedemann Prolow II - Board Director; Powell/Crossbow Ventures/Proskauer Referred Investor - Board Director; Maurice Buchsbaum - Board Director; Stephen Warner - Board Director; Simon L. Bernstein - Board Director ("S. Bernstein"); any other John Doe ("John Doe") Former Iviewit Management & Board partners, affiliates, companies, known or not known at this time; including but not limited to Former Iviewit Management & Board and any other Former Iviewit Management & Board related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("Iviewit Executive").



    15. FIFTEENTH JUDICIAL CIRCUIT - WEST PALM BEACH FLORIDA:

    Judge Jorge LABARGA - ("Labarga"); any other John Doe ("John Doe") FIFTEENTH JUDICIAL CIRCUIT - WEST PALM BEACH FLORIDA staff, known or not known to have been involved at the time. Hereinafter, collectively referred to as ("15C").



    16. THE SUPREME COURT OF NEW YORK APPELLATE DIVISION: FIRST JUDICIAL DEPARTMENT, DEPARTMENTAL DISCIPLINARY COMMITTEE

    Thomas Cahill - ("Cahill"); Joseph Wigley - ("Wigley"); Steven Krane, any other John Doe ("John Doe") of THE SUPREME COURT OF NEW YORK APPELLATE DIVISION: FIRST JUDICIAL DEPARTMENT, DEPARTMENTAL DISCIPLINARY COMMITTEE

    staff, known or not known to have been involved at the time. Hereinafter, collectively referred to as ("First Dept DDC").



    17. THE FLORIDA BAR

    Lorraine Christine Hoffman - ("Hoffman"); Eric Turner - ("Turner"); Kenneth Marvin - ("Marvin"); Anthony Boggs - ("Boggs"); Joy A. Bartmon - ("Bartmon"); Kelly Overstreet Johnson - ("Johnson"); Jerald Beer - ("Beer"); Matthew Triggs; Christopher or James Wheeler; any other John Doe ("John Doe") The Florida Bar staff, known or not known to have been involved at the

    time. Hereinafter, collectively referred to as ("TFB")



    18. MPEGLA, LLC.

    Columbia University; Fujitsu Limited; General Instrument Corp; Lucent Technologies Inc.; Matsushita Electric Industrial Co., Ltd.; Mitsubishi Electric Corp.; Philips Electronics N.V. (Philips); Scientific Atlanta, Inc.; Sony Corp. (Sony); EXTENDED LIST OF MPEGLA LICENSEES AND LICENSORS; any other John Doe MPEGLA, LLC. Partner, Associate, Engineer, Of Counsel or

    Employee; any other John Doe ("John Doe") MPEGLA, LLC partners, affiliates, companies, known or not known at this time; including but not limited to MPEGLA, LLC and any other MPEGLA, LLC related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("MPEGLA").



    19. DVD6C LICENSING GROUP

    Toshiba Corporation; Hitachi, Ltd.; Matsushita Electric Industrial Co. Ltd.; Mitsubishi Electric Corporation; Time Warner Inc.; Victor Company Of Japan, Ltd.; EXTENDED DVD6C DEFENDANTS; any other John Doe DVD6C LICENSING GROUP Partner, Associate, Engineer, Of Counsel or Employee; any other John Doe ("John Doe") DVD6C LICENSING GROUP partners, affiliates, companies, known or not known at this time; including but not limited to DVD6C LICENSING GROUP and any other DVD6C LICENSING GROUP related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as

    ("DVD6C").



    20. Harrison Goodard Foote incorporating Brewer & Son.

    Martyn Molyneaux, Esq. ("Molyneaux"); Any other John Doe ("John Doe") Harrison Goodard Foote (incorporating Brewer & Son) partners, affiliates, companies, known or not known at this time; including but not limited to Harrison Goodard Foote incorporating Brewer & Son and any other related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("HGF").



    21. Lawrence DiGiovanna, Chairman of the Grievance Committee of the Second Judicial Department Departmental Disciplinary Committee;



    22. James E. Peltzer, Clerk of the Court of the Appellate Division, Supreme Court of the State of New York, Second Judicial Department;



    23. Diana Kearse, Chief Counsel to the Grievance Committee of the Second Judicial Department Departmental Disciplinary Committee;



    24. Houston & Shahady, P.A., any other John Doe ("John Doe") Houston & Shahady, P.A., affiliates, companies, known or not known at this time; including but not limited to Houston & Shahady, P.A. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("HS").



    25. Furr & Cohen, P.A. any other John Doe ("John Doe") Furr & Cohen, P.A., affiliates, companies, known or not known at this time; including but not limited to Furr & Cohen, P.A. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("FC").



    26. Moskowitz, Mandell, Salim & Simowitz, P.A., any other John Doe ("John Doe") Moskowitz, Mandell, Salim & Simowitz, P.A., affiliates, companies, known or not known at this time; including but not limited to Moskowitz, Mandell, Salim & Simowitz, P.A. related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("MMSS").



    27. The Goldman Sachs Group, Inc. Jeffrey Friedstein ("Friedstein"); Sheldon Friedstein (S. Friedstein"), Donald G. Kane ("Kane"); any other John Doe ("John Doe") The Goldman Sachs Group, Inc. partners, affiliates, companies, known or not known at this time; including but not limited to The Goldman Sachs Group, Inc. and any other related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("GS").



    28. David B. Simon, Esq. ("D. Simon")



    29. Sachs Saxs & Klein, P.A. any other John Doe ("John Doe") Sachs Saxs & klein, P.A., affiliates, companies, known or not known at this time; including but not limited to Sachs Saxs & klein, pa related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("MMSS").



    30. Huizenga Holdings Incorporated any other John Doe ("John Doe") Huizenga Holdings Incorporated affiliates, companies, known or not known at this time; including but not limited to Huizenga Holdings Incorporated related or affiliated entities both individually and professionally. Hereinafter, collectively referred to as ("MMSS").



    31. Eliot I. Bernstein, ("Bernstein") a resident of the State of California, and former President (Acting) of Iviewit Holdings, Inc. and its affiliates and subsidiaries and the founder of Iviewit and principal inventor of its technology. Hereinafter, collectively referred to as ("Bernstein").



    32. P. Stephen Lamont, ("Lamont") a resident of the State of New York, and former Chief Executive Officer (Acting) of Iviewit Holdings, Inc. and all of its affiliates and subsidiaries. Hereinafter, collectively referred to as ("Lamont"); and



    33. Any other known or unknown person or known or unknown entity not named herein that will cause your review of the complaint you are charged with investigating to be biased by any conflicting past, present, or future financial interest or any other interest?



    NO YES (please describe below)



    II. Do you, your spouse, and your dependents, in the aggregate, receive salary or other remuneration or financial considerations from any entity related to the enclosed parties to the proceeding of the matters?



    NO YES (please describe below)



    III. Have you, your spouse, and your dependents, in the aggregate, had any prior conversations or correspondences of any kind, with any person related to the proceeding of the Iviewit or related matters?



    NO YES (please describe below)



    I declare under penalty of perjury that the foregoing statements in this CONFLICT OF INTEREST DISCLOSURE FORM are true and correct. Executed on this __ day of ________ 2007 the foregoing statements in this CONFLICT OF INTEREST DISCLOSURE FORM are true. I am aware that any false, fictitious, or fraudulent statements or claims may subject me to criminal, civil, or administrative penalties, including possible culpability in the attempted murder of the inventor Eliot Bernstein and his wife and children in a car bombing attempt on their lives. I agree to accept responsibility for the unbiased review, and presentation of findings to the appropriate party(ies) who also have executed this CONFLICT OF INTEREST DISCLOSURE FORM. Failure to execute and return this CONFLICT OF INTEREST DISCLOSURE FORM by facsimile to 530-529-4110 or by mail to c/o Eliot I. Bernstein, 39 Little Avenue, Red Bluff, Cal. 96080 within fifteen (15) days shall constitute an admission of conflicts of interest in the matters.



    Signature X_________________________________ Position/Title_______________________ Entity Representing_____________________________ Date_____________

    Signature X_________________________________ Position/Title_______________________ Entity Representing_____________________________ Date_____________

    Signature X_________________________________ Position/Title_______________________ Entity Representing_____________________________ Date_____________



    If you are unable to sign such document and are therefore unable to continue to further pursue these matters, then a statement of whom we may contact in situations where you may be in conflict with the matters would be necessary. A mailed copy can be sent to:



    Eliot I. Bernstein

    Founder & Inventor

    Iviewit

    39 Little Ave.

    Red Bluff, CA 96080

    (530) 529-4110

    iviewit@iviewit.tv
    www.iviewit.tv

    Assuming you are able to proceed with the matters with an affirmed statement that you have no conflict with the matters or those involved with the matters, following is a letter requesting action in the Iviewit matters:


    ***End of Conflict of Interest Disclosure Form




    Re:



    With best regards,





    Eliot I. Bernstein
    Founder & Inventor
    Iviewit Technologies, Inc.

    Iviewit Holdings, Inc.

    39 Little Ave

    Red Bluff, California 96080-3519

    iviewit@iviewit.tv

    www.iviewit.tv





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    ReplyDelete
  33. Where the Hell is the Red Cross? They should be leading this thing. Have they called for Congressional Hearing yet? Have they also tried to bury this story?

    ReplyDelete
  34. Tommy, remember do the coverup, do the time. Do you really want to do time at your age? Think about it old friend.

    ReplyDelete
  35. Todays NYT J.&J. (Johnson & Johnson) sues Red Cross Over Symbol - are the lawyers (liars for hire) now running the Red Cross. Many people are seeing RED over the Red Cross and their tricks.
    Stop giving money and let them reform their ways. Cutoff the money and watch them move.

    ReplyDelete
  36. These people Cahill & Cohen were in every dirty deal there was. FIRE THEM!!!!!!!!!!!!!

    ReplyDelete
  37. These large law firms might as well be the dens of the devils

    ReplyDelete
  38. Cahill doesn't care about the Red Cross and the 100 grand stolen from them. I'm going to send the blog some real eye-popping stuff on Cahill!

    ReplyDelete
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