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May 09
Gender: Female Status: Single Age: 43 Sign: Pisces
State: Oregon Country: US
Signup Date: 02/09/07
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Saturday, April 12, 2008
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I’m Holding Judge Avera Accountable. Will You? Category: Dreams and the Supernatural
I'm Holding Judge Avera Accountable. Will You?
From: Marilyn leBaron
To: Darlene Rogers
Sent: Wednesday, September 27, 2006 8:39 PM
Subject: For God's sake will you have my daughter fill this out now?
See: Hard coy for my check marks, on the yes or no, true or false...
100.
My error should not be used as an advantage
____T ____F
101.
My mother has not committed a crime against me but it looks
to me that she is informally non-accused and formally punished
____T ____F
102.
My mother has been sentenced, However informally, because
she is not properly summoned, charged, or accused, but is placed to
have the burden of proof upon her through a non-process for a non-
crime, so why should I be arrested?
please answer my question
103.
Why am I a victim?
please answer my question
104.
Re: question 106 above, Whose victim am I if I am a victim?
please answer my question
105.
I have a right not to be under arrest, detained for a
prolonged period, while used to violate my mother's right to
privacy
____T ____F
106.
Re: 109 … Dear Judge Avera
please answer the following questions
107.
If I am under arrest, due to and pursuant to complaints I did not
declare, but the absence of my complaint is compelled as though they
were my own words and thoughts in lieu of my own deliberate
attestation, purported as interpretations for duties described in ORS
Advocacy, for the rights of a child, who is being helped?
108.
If I am under arrest, or detained, while complaints, which I
did not declare pursued against my own declaration, but are voiced
any way, under oath in Petition, under the ORS Advocacy for the
rights of a child, whom is this disservice protecting?
109.
I had arranged prior to 11-22-05 to make restitution
according to Biblical principles for minor offences on 11-18-05
____T ____F
110.
I, being used to punish my mother, my brother, and my
grandmother who is affected by my punishment as well, who worries
what will happen to me next if I am to remain a ward of the state
……………………………………………………_____Yes ____No
111.
Cruelty issues; When my mother was released from jail one of
the reasons I was detained was no longer available for the DHS to
use, so the only other reason that I see they are still pursuing is
something
……………………………………………………_____Yes ____No
112.
I voiced no complaint about my mom's Private matters, on 11-18-05
……………………………………………………_____Yes ____No
113.
The complaints which were told to my by the DHS supervisory
staff is the only advantage used for my continued detainment
……………………………………………………_____Yes ____No
114.
I support my mother in her resistance to collusive activity.
We resisted the best we could, and we both refused services
……………………………………………………_____Yes ____No
115.
What I see is that my mother lawfully resisted unwarranted,
forceful, intrusive activity invoked through colorable cause then
reinventing it to invader her private matters
……………………………………………………_____Yes ____No
116.
The consequences to DHS activity is nothing less than cruelty in the
form of discriminatory harassment affecting my mothers dignity
Judge Avera, Max R. Wall, DHS, Equal Protection, Constitution, PCCC, Melanie LeBaron, Marilyn LeBaron,
6:10 PM - 4 Comments - 4 Kudos - Add Comment - | | | May 08 Please post a blog and help me impeach a corrupt judge please re post my bulletin also.
Please post this on a blog and send this to:
charles.e.luukinen@state.or.us,
fred.e.avera@state.or.us,
william.m.horner@state.or.us,
Michael.C.SULLIVAN@ojd.state.or.us,
go.madcowgo@hotmail.com,
Judge Horner needs to be impeached - Please help send him the message he is not god
I am contacting every body who has the right to impeach a public official and take them out of office. Judge Horner needs to be impeached. This is the consequence of a preset disposition of a judge who demanded to try me twice.
Please inquire. At the end of this e-mail are facts you should get from the DHS in Dallas.
Thank you,
UCC 1-308 All Rights Reserved Without Prejudice
You have a copy of this already but it is relevant.
August 4, 2007
Department of Human Services Child Protective Services 177 SW Oak St Dallas, Oregon 97338
Dear Disclosure Officer,
Pursuant to the state open records law, Or. Rev. Stat. sec. 192.410 to 192.524, I write to request access to and a copy of any facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the staff meeting held on February 14th, 2005, if it is relevant to the reason DHS came to my door on November 22, 2005. Please include all Exhibits of 'Expert Testimony' or releases for access thereto logged in DHS records, and DHS records only, pertaining to Thomas AB LeBaron, which are date stamped prior to February 06, 2005, to show there was any other finding possible other than a disposition of UNABLE TO DETERMINE for the January 10, 2005 call assigned to Marry Anne E. Miller. My request is pursuant to OAR definitions regarding 'harm' or 'eminent threat' with respect to the allegation of Medical Neglect. If your agency does not maintain these public records, please let me know who does and include the proper custodian's name and address.
I agree to pay any reasonable copying and postage fees of not more than $.60 cents, as not to cause undue delay and for that reason only. If the cost would be greater than this amount, please notify me. Please provide a receipt indicating the charges for each document·
As provided by the open records law, I would request your response within seven (7) days.
If you choose to deny this request, please provide a written explanation for the denial including a reference to the specific statutory exemption(s) upon which you rely. Also, please provide all segregable portions of otherwise exempt material.
Please be advised that I am prepared to pursue whatever legal remedy necessary to obtain access to the requested records. I would note that willful violation of the open records law can result in the award of litigation costs, disbursements and reasonable attorney fees.
Thank you for your assistance.
Sincerely,
UCC 1-308, Thomas AB LeBaron, and Marilyn LeBaron, Power of Attorney in Fact, in Propria Persona by Special Visitation
portland, oregon [97233]
Please limit phone contact to the cost of producing copies and postage if stipulated payment agreement is not sufficient. Neither my children nor I wish any contact with your agency, period, for any reason.
DHS IS NOT AUTHORIZED TO BE OUR COUNSEL OF CHOICE. YOU ARE FIRED.
(503) 262-6723
----------------------------------
Any and all Exhibits of 'Probable Cause' logged in DHS records, and DHS records only, pertaining to Thomas Alexander Bleu LeBaron, which are date stamped prior to February 06, 2005, to show there was any other finding possible other than a disposition of UNABLE TO DETERMINE for the January 10, 2005 call assigned to Marry Anne E. Miller.
----------------------------------
any and all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the reason DHS came to my door on November 22, 2005. Please include any and all Exhibits of 'Probable Cause' logged in DHS records, and DHS records only, pertaining to Melanie LeBaron, which are date stamped prior to February 06, 2005, to show there was any other finding possible other than a disposition of UNABLE TO DETERMINE for the January 10, 2005 call assigned to Marry Anne E. Miller. My request is pursuant to the Oregon Administrative Definitions regarding harm or eminent threat.
----------------------------------
any and all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the reason DHS came to my door on November 22, 2005. Please include any and all Exhibits of 'Probable Cause' logged in DHS records, and DHS records only, pertaining to Thomas Alexander Bleu LeBaron, which are date stamped prior to February 06, 2005, to show there was any other finding possible other than a disposition of UNABLE TO DETERMINE for the January 10, 2005 call assigned to Marry Anne E. Miller. My request is pursuant to the Oregon Administrative Definitions regarding harm or eminent threat with respect to the allegation of Medical Neglect.
----------------------------------
any and all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the case assigned on November 21, 2005. Please include all Exhibits of 'Expert Testimony' or releases for access thereto logged in DHS records, and DHS records only, pertaining to Thomas AB LeBaron, which are date stamped prior to February 06, 2005, to show cause for Marry Anne E Miller to say the disposition of UNABLE TO DETERMINE merited the use of the 'term' 'Major Safety Threat'. My request is pursuant to the OAR definitions 'harm', conditions and circumstances, and ability to manage or recognize safety threats with respect to the allegation of Medical Neglect on two counts
----------------------------------
all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the case assigned on November 21, 2005. Please include all invitations to uphold the Sixth Amendment right to PRESENTMENT, in numerous letters mailed to this address from Marilyn LeBaron prior to mid April of 2005, directly pertaining to CPS activity toward protecting my son from any damages adjacent to the allegation of medical neglect. Please include any documented comments from any staff members, or letters of response regarding those letters, if any. Please include any authorities relied upon if those comments or notes are included as Exhibits of 'Expert Testimony' and pertain to Thomas AB LeBaron, and date stamped prior to February 06, 2005, to show cause for Marry Anne E Miller to say the disposition of UNABLE TO DETERMINE merited the use of the 'term' 'Major Safety Threat'. My request is pursuant to the OAR definitions 'harm', conditions and circumstances, and ability to manage or recognize safety threats with respect to the allegation of Medical Neglect on two counts
----------------------------------
all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the case assigned on November 21, 2005. Please include all invitations to uphold the Sixth Amendment, our inalienable right to PRESENTMENT, entered in numerous letters mailed to this address from Marilyn LeBaron prior to mid April of 2005, which directly pertaining to CPS activity presented as protective or remedial toward protecting my son from damages adjacent to the allegation of medical neglect. Please include any documented comments from any staff members, or letters of response regarding those letters, if any. Please include any authorities relied upon if those comments or notes are included as Exhibits of 'Expert Testimony' and pertain to Thomas AB LeBaron, and date stamped prior to February 06, 2005. Please include any letters of correspondence by and between any agencies authorized and mandated to cross report if said correspondence could be construed as cross reporting but limited your response to that which is directed from DHS staff toward the numerous letters mailed to DHS from 1465 E. Street, Independence, Oregon 97351. My request is pursuant to the OAR definitions 'harm', conditions and circumstances, and ability to manage or recognize safety threats with respect to the allegation of Medical Neglect on two counts
----------------------------------
Please include any documented comments from any staff members, or letters of response regarding those letters, if any. Please include any authorities relied upon if those comments or notes included as Exhibits as 'Expert Testimony' and pertain to Thomas AB LeBaron, and date stamped prior to February 06, 2005. Please include any letters of correspondence by and between any agencies authorized and mandated to cross report if said correspondence which could be construed as cross reporting but limited your response to that which is directed from DHS staff toward numerous letters mailed to DHS from 1465 E. Street, Independence, Oregon 97351. My request is pursuant to OAR definitions 'harm', 'conditions and circumstances', 'ability to manage' or 'recognize' 'safety threats'
----------------------------------
all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, PCC C, Horner presiding, with relevancy adjacent to Petition III and the date November 21, 2005. Please include all invitations extended to DHS staff to uphold the Sixth Amendment, or PRESENTMENT, entered in numerous letters mailed to this address from Marilyn LeBaron prior to mid April of 2005, which directly pertaining to CPS activity in and attempt to gain an opportunity for a rebuttal of allegations presented to Zachariah B. Singleton on February 08, 2005 and presented as protective or remedial toward protecting my son from damages adjacent to the allegation of medical neglect.
----------------------------------
any facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III and the staff meeting held on February 14th, 2005, if it is relevant to the reason DHS came to my door on November 22, 2005. Please include all Exhibits of 'Expert Testimony' or releases for access thereto logged in DHS records, and DHS records only, pertaining to Thomas AB LeBaron, which are date stamped prior to February 06, 2005, to show there was any other finding possible other than a disposition of UNABLE TO DETERMINE for the January 10, 2005 call assigned to Marry Anne E. Miller. My request is pursuant to OAR definitions regarding 'harm' or 'eminent threat' with respect to the allegation of Medical Neglect on two counts
----------------------------------
all facts regarding the LeBaron case file pertaining to O5P2064 & 05P2176, Singleton V. LeBaron, Polk County Circuit Court, Horner presiding, with the relevancy adjacent to Petition III, which got the case assigned on November 21, 2005, but adjacent to Chandra Snyder being present at the Independence Police Department, on November 18, 2005. Please include Exhibits of 'Expert Testimony' or releases for access thereto logged in DHS records, and DHS records only, pertaining to Thomas AB LeBaron, which are date stamped prior to February 06, 2005, to show cause Supervisory Staff had good cause to say, there would have been a FOUNDED case in support of the use of the 'term' 'Major Safety Threat'. My request is pursuant to OAR definitions 'harm', 'conditions and circumstances', and 'ability to manage or recognize safety threats', with respect to the allegation of Medical Neglect
----------------------------------
all facts regarding the LeBaron case file that show cause for Supervisory Staff to say, "There would have been a FOUNDED case in support of the use of the 'term' 'Major Safety Threat', with the relevancy adjacent to conversations with Zachariah Burton Singleton, and his petition for custody, which got the case assigned on November 21, 2005, but limited to what is directly adjacent to Chandra Snyder being present at the Independence Police Department on November 18, 2005. Please include any demands for access to any information thereto logged in DHS records, and DHS records only prior to April 2005 and directly pertaining to Thomas AB LeBaron, which are relevant to any Points in Fact prior to the date February 06, 2005
----------------------------------
all facts regarding the LeBaron case file that show cause for Supervisory Staff to say, "There would have been a FOUNDED case", in support of the use of the 'term' 'Major Safety Threat', with the relevancy adjacent to conversations with Zachariah Burton Singleton, and his petition for custody, which got the case assigned on November 21, 2005, but limited to what is directly adjacent to Chandra Snyder being present at the Independence Police Department on November 18, 2005
----------------------------------
Please limit phone contact to the cost of producing copies and postage if stipulated payment agreement is not sufficient. Neither my children nor I wish to be contacted CPS Agents, period, for any reason.
Please include any demands for access to any information thereto logged in DHS records, and DHS records only, prior to April 2005 and directly pertaining to Thomas AB LeBaron, which are relevant to any Points in Fact prior to the date February 06, 2005.
----------------------------------
----------------- Original Message ----------------- From: Kristin, an 'Edwards Democrat' Date: Apr 12, 2008 8:59 PM
I can do. I was trying to read your myspace but my laptop won't cooperate. If you have a lot of stuff on your myspace, my computers eats it lol ;)
What is your son's name? I imagine you have a cause on your page. What it is? Also, when I repost this in bulletin or blog or both.... I will credit your myspace page! :)
Thanks! Kristin
All Rights Reserved Without Prejudice UCC 1-308 Marilyn LeBaron & LeBaron Family
Thomas LeBaron Victoria Couvillion
NTBAA
THOMAS LEBARON VICTORIA COUVILLION without Due Process
Marilyn LeBaron Melanie LeBaron
NTBAA
MARILYN LEBARON MELANIE LEBARON without Due Process
Yuwie
http://www.yuwie.com/yuwie.asp?r=268928&vid=1365498
Hit SIGN UP under the feet of Yuwie guy, enter your information,
verify your account with the link sent to your e-mail account.
Please forgive the advertisements and junk mail.
(Hit 'SKIP' at the bottom of the page or No Thanks)
Hit the back button to get out of pop ups
March 03
My daughter, who was Alienated from me, too, watched this and I hope it will have some impact.
She said, "Bleu hates his dad".
Thomas Alexander Bleu LeBaron will be grounded if he calls me, as per Zachariah B. Singleton,
who has made absolutely no efforts to protect his son.
Parental Alienation Syndrome is child abuse. Child Protective Services get away with murder as
well.
This makes me angry with Judge Horner all over again, but not as bad this time around. I gave it
over to the Thrown of Justice. I wish my son were happy even if I am 'in' exiled from him.
This video will play in a MySpace Blog...
Parent Alienation Syndrome.
News story from Las Vegas on Baldwin, Taken Into Custody, and other PAS Vieo,
mixed in with some of the vicitms.
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