16-Mc-49 U.S. District Court Chapter 11 Bankruptcy Appeal Statement of Issues To Be Presented On Appeal, June 1, 2016 Complete

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Stan J.

Caterbone
ADVANCED MEDIA GROUP
Freedom From Covert Harassment &

Surveillance,
Registered in Pennsylvania

1250 Fremont Street


Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

IN THE UNITED STATES U.S. DISTRICT COURT


FOR EASTERN PENNSYLVANIA
IN RE: STANLEY JOSEPH CATERBONE
Movant

:
:
:
:

CIVIL ACTION NO. 16-mc-49


BANKRUPTCY NO. 16-10517

:
:

STATEMENT OF ISSUES TO BE PRESENTED ON APPEAL


AND NOW, on this 1st day of June, 2016, I, STANLEY J. CATERBONE and ADVANCED MEDIA
GROUP, APPELLANTS, appearing pro se, do hereby file this STATEMENT OF ISSUES TO BE
PRESENTED ON APPEAL according to

MEMORANDUM AND ORDER of May 16, 2016 by the

Honorable Judge Edward G. Smith. For the purposes of the mandated ORDERS for this case of
May 16, 2016 the MOVANT Stanley J. Caterbone will submit a 105 Page DOCUMENT with the
heading of U.S. Chapter 11 Bankruptcy Case No. 16-10517....Page # of #.........May 18,
2016 which is the only practical way of addressing this COURTS ORDER of May 16, 2016.
Dated June 1, 2016
______________________________
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
[email protected]
717-669-2163

16-mc-49 Statement of Issues

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Wednesday, June 1, 2016

ISSUES TO BE PRESENTED ON APPEALABILITY


1. In the MEMORANDUM OPINION of May 16, 2016 the COURT addresses the mail log
from Fairmount Behavioral Health. The reason the MOVANT brought this to the attention
of the COURT is due to the fact the MOVANT presumed the COURT would understand that
the reason Caterbone has not attached a copy of the order from which he seeks to
appeal to the motion is that CATERBONE filed the APPEAL from the illegal and
fraudulent 302 Mental Health Warrant executed on February 18, 2016 by Lancaster City
Police Detective Clark Bearinger, from Fairmount Hospital and DID NOT HAVE ACCESS
TO THE ORDER, nor would the psych techs transport the MOVANT CATERBONE
home to retrieve the ORDER to be included in the APPEAL.
(See Pages 2-3 of 105 Page DOCUMENT with the heading of U.S. Chapter 11
Bankruptcy Case No. 16-10517....Page # of #.........May 18, 2016)
2. In the U.S. Bankruptcy Court Eastern District of Pennsylvania (Reading) Bankruptcy
Petition #: 16-10517-ref from which this appeal was taken the docket shows that on
Juanuary 27, 2016 the MOVANT CATERBONE filed a 384 pages of schedules; INCLUDING
THE FOLLOWING SCHEDULES WITH DETAILED FINANCIAL INFORMATION.
(See Pages 38-42 of 105 Page DOCUMENT with the heading of U.S. Chapter 11
Bankruptcy Case No. 16-10517....Page # of #.........May 18, 2016)
This COURT wrote in the MEMORANDUM OPINION that ....Caterbone provides no
information about his financial status to warrant a finding that he is incapable of
paying the fees to appeal. That statement is a blatant misstatement of the facts
of this case. Following is the schedules taken from MOVANT CATERBONE'S record
of the initial bankruptcy filing on January 27, 2016 and recorded in the docket
entries:
1. Official Form 103A - Fee Schedule
2. Official Form 104 - List of Creditors with Unsecured Claims
3. Official Form 106A/B - Schedule A/B: Property
4. Official Form 106C - The Propery You Claim as Exempt
5. Official Form106D - Creditors Who Have Claims Secured by Property
6. Official Form106E/F - Creditors Who Have Unsecured Claims
7. Official Form106G - Executory Contracts and Unexpired Leases
8. Official Form106H - Your Codebtors
9. Official Form106I - Your Income
10. Official Form106J - Your Expenses
11. Official Form107 - Statement of Financial Affairs for Individuals Filing for Bankruptcy
12. Part 4 - Identify Legal Actions, Repossessions, and Foreclsures
13. Part 11 - Give Details About Your Business or Connections to Any Business
14. Official Form122B - Statement of Your Current Monthly Income
15. 2-Attachment Item No. 19-A - 3rd Circuit 15-3400 Lambert Appeal EXHIBIT re
Outstanding Receivables with Pro Se Billings To Date
16. Third Circuit 15-3400 Lambert Appeal ACCOUNTS RECIEVABLES as of December 2,
2015
17. 3-Attachment Item No. 19-B - 15-3400 Chapter 11 Reorganization Plan for 2016
Chapter 11
18. Third Circuit 15-3400 Lambert Appeal ACCOUNTS RECIEVABLES as of December 2,
2015
19. Advanced Media Group Invoices for September 3, 2015
20. Invoice to Department of Defense for 23 Years of Mind Control

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21. ORIGINAL with DETAILES Advanced Media Group Aged Receivables With Invoices
May 13 2007
3. This COURT wrote in the MEMORANDUM OPINION that There is one final issue that
Caterbone will have address before this case can proceed. According to the
docket entries, Caterbone filed the motion for leave to appeal on March 4, 2016,
which was 15 days after the February 18, 2016 order dismissing the case.
I bring to the attention of the COURT the mail log, which is identified on page 1 of the
MEMORANDUM OPINION as The first document is a handwritten mail log in
which he
appars to reference documents sent from Fairmount Behavioral
from 02/19/2016 to
_________.
(See Page 34 of 105 Page DOCUMENT with the heading of U.S. Chapter 11 Bankruptcy
Case No. 16-10517....Page # of #.........May 18, 2016)
NOTICE OF APPEAL (See Page 33 of 105 Page DOCUMENT with the heading of U.S.
Chapter 11 Bankruptcy Case No. 16-10517....Page # of #.........May 18, 2016)
The MOVANT CATERBONE identifies the mail log on page 34 of the attached 105 Page
DOCUMENT with the heading of U.S. Chapter 11 Bankruptcy Case No. 16-10517....Page
# of #.........May 18, 2016. It states the following:
10. February 28, 2016 Appeal to U.S. Bankruptcy Court in Reading Copy to 1250 Fremont
Street. CLEARLY THE MOVANT CATERBONE AND THIS COURT ACKNOWLEDGE
THAT ON
FEBRUARY 18, 2016 THE MOTION FOR LEAVE TO APPEAL WAS FILED
WITHIN 10 DAYS OF
THE FEBRUARY 18, 2016 ORDER DISMISSING THE
BANKRUPTCY CASE. THE MOVANT
CATERBONE MADE BEST EFFORTS TO FILE
WITHIN THE RULES OF PROCEDURE, HOWEVER
THE STAFF AT FAIMOUNT
INTENTIONALLY WITHELD THE MAILING OF THE NOTICE OF
APPEAL.

Dated:

June 1, 2016

___________________________________
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
[email protected]
717-669-2163

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Wednesday, June 1, 2016

FOR THE COURTS CONSIDERATION IN DETERMINING THE FAIRNESS DOCTRINE.


The PETTITIONER alleges that he has been a prisoner of the state since 1987.
Just the most recent activities of the PETITIONER are a clear indication of such. The activities
surrounding the PETITIONER'S life since June of 2015 immediately following the filing of an
amicus curiae in the Lisa Michelle Lambert Habeus Case of this same said court, No. 14-02559, in
which the PETITIONER was named MOVANT, has escalated into a daily occurrence of assaults.
Unfortunately while the PETITIONER has made many in person complaints to just about every law
enforcement agency, the most recent to the Manheim Township Substation in Lancaster Township
regarding an assault at the Manor Shopping Center minutes previously (December 9, 2015
9:00pm), the pleas for help and assistance have yielded nothing but more attacks to the
PETITIONER'S person, property, electronics, home, auto, reputation, intellectual property, and
lastly his mental state-of-mind A BRUTAL ARRAY OF PSYCHOLOGICAL TORTURE. The
PETITIONER has already made claims of COINTELPRO-like tactics in his filings in the U.S.C.A.
Case No. 15-3400 against these same said actors and perpetrators.
The PETTITIONER has made many failed attempts to the Commonwealth of Pennsylvania in
1987 to address these very same issues, specifically the Pennsylvania Securities Commission
(Agent Howard Eisler), the Pennsylvania Attorney General's Office (Detective Bodan), the Civile
Rights Enforcement Division of the Pennsylvania Attorney General (Investigator ....).

The

PETITIONER will argue that the Commonwealth of Pennsylvania is unable to address these issues
without prejudice, without discrimination, and without corruption. This can be best described in
the following Letter to the Editor of the NEWSLANC organization of recent weeks:
I have been the victim of a widespread civil and criminal conspiracy that dates back to
1987, made up of the very same actors that Kathleen Kane is up against, the "good old boys". In
1987 I blew the whistle on a local company, International Signal & Control, or ISC, that was
indicted for selling arms and weapons to Iraq via South Africa with the aid and support of the CIA
and the NSA. It was the 3rd largest white collar crime at that time, valued at $1 Billion Dollars. I
was the victim of a widespread wholesale cover-up through an elaborate slander campaign that
included 29 false arrests, multiple false imprisonments, and a fabricated mental illness record that
to this day is still resonating.

Kathleen Kane must be commended for her courage and her determination for taking on
this culture of arrogance and total disregard for the U.S. Constitution and the rule of law that they
so emphatically espouse to uphold. They believe and conduct their affairs in a manner that
suggests they are above the law and we, the Pennsylvania taxpayers, are beneath the law. The

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sad fact that it reaches into the judiciary and law enforcement agencies is undeniably the most
outrageous and deplorable truth to this scandal. Case in point, until yesterday I was the
APPELLANT in a case before the U.S. Third Circuit Court of Appeals that involves the Habeus
Corpus for convicted and imprisoned Lisa Michelle Lambert. A murder case in the early 1990's
that was made famous when in 1997 U.S. District Judge Stewart Dalzell found her actually
innocent due to "one of the worst cases of prosecutorial misconduct in the English speaking
language" and released her from prison. The case drew nationwide attention when then
Pennsylvania Attorney General, then Mike Fischer, enlisted the help of 9 other state attorney
generals to curtail the reach of the federal bench in state matters concerning Habeus Corpus
cases. To make matters worst, 38,000 Lancastrians signed petitions to remove the Honorable
Stewart Dalzell from the federal bench.
Mike Fisher and company won and Lisa Michelle Lambert was back in prison within 9
months while the case went back to the Lancaster County Court of Common Pleas. The Honorable
Judge Lawrence Stengel held a bench hearing where she was again found guilty and sentenced to
life in prison. The case was covered by the LA Times in a multi-part Sunday series, A&E producer
Bill Curtis did a 48 Hours special, and Lifetime Movies made it into a prime time movie.
This year, these "Good Old Boys" made it so difficult for me to litigate my efforts to free
Lisa Michelle Lambert, that I had to dismiss my appeal and effectively withdraw as her MOVANT
and Advocate. I was trying to persuade the courts that my own demise was the result of the same
type of wholesale prosecutorial misconduct by some of the very same principals that Lisa Michelle
Lambert fell victim to. My efforts were so distasteful to the powers to be that her court appointed
attorney threatened me with criminal prosecution for no other reason than I might actually be
successful in helping her win the Habeus Corpus she filed in May of 2014.

I allege the U.S.

District Judge was trying in vain to invalidate and derail my own federal court cases that seek to
restore me to whole from a life of ruin, misery, torture, and financial collapse.

For the record, I founded a financial firm in the 1980's that reached 5 states and raised
some 90 million dollars in a matter of 9 months. In the late 1980's and early 1990's I was one of
5 domestic companies that had the capabilities of manufacturing CDROM's that included a client
list that reached across the globe and included government agencies and fortune 500 companies.
And in 1987, myself and a genius recording engineer named Tony Bongiovi and his famous
recording studio, Power Station Studios of New York, were developing and producing the first
"digital movie". The intellectual property rights and the RICO statutes that apply to my legal
claims in federal courts were too much for the "Good Old Boys" to handle....

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Wednesday, June 1, 2016

In a December 30 editorial to the Washington Post titled Pornographic email scandal roils
Pennsylvania politics regarding the jurisprudence in the Commonwealth of Pennsylvania the
following was quoted by the editor of

Newslanc.com;

"Anyone who neutrally looked at Pennsylvania and tried to gauge the quality of
jurisprudence in the state would have to laugh and say, What in the world is going on
there? . . . Our justice system is about as out of control as it can get.

"EDITOR:

These matters cannot properly be settled within Pennsylvania. Everybody from the
prosecutors, to the attorney general, to the justices have skin in the game. It is time for
these matters to be given over to U. S. Attorney General so assure as close to a
disinterested investigation as circumstances permit."

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RESUME AND BIOGRAPHY OF PETITIONER AND ADVANCED MEDIA GROUP


Present 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;
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 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 a person who declares
that she is Interscope recording artist Sheryl Crow of Kennett Missouri. Over the course of 10
years I have been telepathic with at least 20 known actors and have spent 10 years trying to
validate and confirm this person 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
In 2009 Advanced Media Group Proposed 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.
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. I was a shareholder of ISC, and was solicited by ISC executives for professional
services.
From 2002 to 2004 I engaged in full-time online day-trading of securities and the selling of
merchandise on eBay.
In 2000 to 2002 Advanced Media Group developed an array of marketing and communication
tools for wholesalers of the AIM Investment Group and managed several communication programs
for several of the company wholesalers throughout the United States and Costa Rica.
In 1999 Advanced Media Group was solicited and paid to develop a comprehensive business
plan to develop the former Sprecher Brewery, known as the Excelsior Building on E. King Street, in
Lancaster, Pennsylvania by 2 Lancaster County restaurateurs. This plan was developed in
conjunction with the Comprehensive Economic Development Plan for the Revitalization of
Downtown Lancaster and the Downtown Lancaster Convention Center for the former Watt &
Shand building.

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In 1998 I administered the charity giving of Toms Project Hope, a non-profit organization
promoting education and awareness for mental illness and suicide prevention. We had provided
funding for the Mental Health Alliance of Lancaster County, Contact Lancaster (The 24/7 Suicide
Prevention Hotline), The Schreiber Pediatric Center, and other charitable organizations and faith
based charities. The video "Numbers Don't Lie" have been distributed to schools, non profit
organizations, faith based initiatives, and municipalities to provide educational support for the
prevention of suicide and to bring awareness to mental illness problems.
In 1996 Advanced Media Group had done consulting for companies under KAL, Inc., during the
time that I was controller of Pflumm Contractors, Inc., Advanced Media Group was retained by
Gallo Rosso Restaurant and Bar to computerized their accounting and records management from
top to bottom. I had also provided consulting for the computerization of accounting and payroll
for Lancaster Container, Inc., of Washington Boro. I was retained to evaluate and develop an
action plan to migrate the Information Technologies of the Jay Group, formally of Ronks, PA, now
relocated to a new $26 Million Dollar headquarters located in West Hempfield Township of
Lancaster County. The Jay Group had been using IBM mainframe technologies hosted by the AS
400 computer and server. I was consulting on the merits of migrating to a PC based real time
networking system throughout the entire organization. Currently the Jay Group employees some
500 employees with revenues in excess of $50 Million Dollars per year.
In 1993 to 1998 I was retained by Pflumm Contractors, Inc., as controller, in efforts to stave off
a potential bankruptcy. I was responsible for implementing computerized accounting,
implementing Management Information Systems, accounting and contract policies and
procedures, human resource policies and procedures, marketing strategies and programs,
performance measurement reporting, and administrative and office procedures and logistics.
Within 3 years, the company realized an increase in profits of 3 to 4 times its previous years, and
recorded record revenues.
In 1991 Advanced Media Group was elected to People to People International and the Citizen
Ambassador Program, which was founded by President Dwight D. Eisenhower in 1956. The
program was founded to To give specialists from throughout the world greater opportunities to
work together and effectively communicate with peers, The Citizen Ambassador program
administers face-to-face scientific, technical, and professional exchanges throughout the world. In
1961, under President John F. Kennedy, the State Department established a non-profit private
foundation to administer the program. We were scheduled to tour the Soviet Union and Eastern
Europe to discuss printing and publishing technologies with scientists and technicians around the
world.
In 1990 Advanced Media Group had worked on a project to develop voice recognition systems for
the governments technology think tank - NIST (National Institute for Standards & Technology)
and the Defense Advanced Research Project Agency, or DARPA of the Department of Defense . I coauthored the article Escaping the Unix Tar Pit with a scientist from NIST that was published in
the magazine DISC, then one of the leading publications for the CD-ROM industry. Today, most
all call centers deploy that technology whenever you call an 800 number, and voice recognition is
prevalent in all types of applications involving telecommunications.

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In 1989 I founded Advanced Media Group, Ltd., and was one of only 5 or 6 U.S. domestic
companies that had the capability to manufacture CD-ROM's, which at the time was a new and
advanced technology in its early stages of being commercialized from research and development.
We did business with commercial companies, government agencies, educational institutions, and
foreign companies. I performed services and contracts or prepared proposals for a host of
domestic and foreign companies including but not limited to: for the Department of Defense,
NASA, National Institution of Standards & Technology (NIST), Department of Defense, The
Defense Advanced Research Projects Agency (DARPA), and the Defense Mapping Agency, Central
Intelligence Agency, (CIA), IBM, Microsoft, AMP, Commodore Computers, American Bankers Bond
Buyers, the Library of Congress, Exxon, Tandy Computers/Radio Shack, and a host of others. I
also was working with R.R, Donnelly's Geo Systems, which was developing various interactive
mapping technologies, which is now Map Quest. Map Quest is the premier provider of mapping
software and applications for the internet and is often used in delivering maps and directions for
Fortune 500 companies. We had arranged for High Industries to sell American Helix, the
manufacturer of compact discs, to R.R. Donnelly & Sons of Chicago, Illinois. American Helix was
later sold to KAO Industries. We were also the exclusive marketing agent and partner with a
Boston, Massachusetts software engineer in the selling of a software developed to diagnose and
test CD-ROM drives called CD-Diagnostics. The program was sold to both domestic and foreign
companies and was then under review for company-wide distribution by Microsoft Corporation.
In 1987 Power Station Studios of New York retained my services as executive producer of a
motion picture project. The theatrical and video release was to be delivered in a digital format;
the first of its kind. We had originated the marketing for the technology, and created the concept
for the Power Station Digital Movie System (PSDMS), which would follow the copyright and
marketing formula of the DOLBY technology trademark. We had also created and developed
marketing and patent research for the development and commercialization of equipment that we
intended to manufacture and market to the recording industry featuring the digital technology.
Sidel, Gonda, Goldhammer, and Abbot, P.C. of Philadelphia was the lead patent law firm that We
had retained for the project. Power Station Studios was the brainchild of Tony Bongiovi, a leading
engineering genius discovered by Motown when he was 15. Tony and Power Station Studios was
one of the leading recording studios in the country, and were responsible for developing Bon Jovi,
a cousin. Power Station Studios clients included; Bruce Springsteen, Diana Ross, Cyndi Lauper,
Talking Heads, Madonna, The Ramones, Steve Winwood, and many others. Tony and Power
Station Studios had produced the original Sound Track for the original Star Wars motion picture.
It was released for distribution and was the number one Sound Track recording of its time. Tony
Bongiovi was also active in working and researching different aerospace technologies. * We had
developed and authored a Joint Venture Proposal for SONY to partner with us in delivering the
Digital Movie and its related technologies to the marketplace. The venture was to include the
commercialization of technologies, which Tony Bongiovi had developed for the recording industry
simultaneously with the release of the Digital Movie. I also created the concept for the PSDMS
trademark, which was to be the Trademark logo for the technology, similar to the DOLBY sound
systems trademark. The acronyms stand for the Power Station Digital Movie System. Today, DVD
is the mainstay for delivering digital movies on a portable medium, a compact disc.

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

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In 1985 I was elected Vice President of the Central Pennsylvania Chapter of the International
Association of Financial Planners, and helped build that chapter by increasing membership 3to 4
times. We had personally retained the nationally acclaimed and nationally syndicated Financial
Planner, Ms. Alexandria Armstrong of Washington D.C.; to host a major fundraiser. More than 150
professionals attended the dinner event that was held at the Eden Resort & Conference Center.
Ms. Armstrong discussed financial planning and how all of the professions needed to work
together in order to be most effective for their clients. We attracted a wide variety of professionals
including; brokers, lawyers, accountants, realtors, tax specialists, estate planners, bankers, and
investment advisors. Today, it has become evident that financial planning was the way of the
future. In 1986 executives approached us from Blue Ball National Bank to help them develop a
Financial Planning department within their bank.
From 1982 to 1985 I was a financial planner for IDS/American Express and licensed in both
securities and insurances.
From 1977 to 1981 I operated SJ Caterbone Painting and Renovating and was was a contractor
responsible for painting and renovating residential, commercial and residential properties and
facilities in Lancaster County.
Dated January 11, 2016

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Wednesday, June 1, 2016

CORROBORATING WITNESS NSA WHISTLEBLOWER KAREN STEWART TO THE PAIN AND


SUFFERING CAUSED BY TORTURE INFLICTED UPON THE MOVANT CATERBONE
Karen Stewart's resume at the NSA is as follows: I Worked various projects over the years, not
just USSR/Russia, but various countries researching/reporting on foreign military status and
alliances, weapons development and proliferation, the Chernobyl disaster and aftermath, the fall
of the Iron Curtain and changing relations among newly liberated countries, economic and
diplomatic developments of certain target countries. I researched and wrote a series of
intelligence

reports

in

support

of

Operation

Iraqi

Freedom

that

kept

secret

Russian

countermeasures sold to Iraq from wreaking havoc on the American invasion. This ultimately is
what got me fired because I questioned why my work was used to promote another employee
who had no experience with but, was credited with my work .

The following transcript of an interview by Karen Stewart in which she describes the lethal
electromagnetic weapons and her experience on being on the receiving end was taken from the
article titled NSA Whistleblower Comes Out of the Shadows Into the Light and can be
found at:

http://canadafreepress.com/article/nsa-whistleblower-comes-out-of-the-

shadows-into-the-light

The article was written by Sher Zieve -- Bio and Archives and published March 28, 2016. The
byline is as follows: In February, 2014 I published an interview of an NSA Whistleblower. This is a
follow-up to that column. Due to recent threats to her person and other exigent circumstances,
the Whistleblower has decided to come out of the shadows and into the light. I am honored that
she again chose me to write her story.

KAREN STEWART'S TRANSCRIPT


First of all, the case STEWART V. NSA is a righteous lawsuit, (brought in 2010) meaning
it is a clear case of employer abuse of power and position to an egregious and even premeditated
criminal level meant to circumvent whistleblower protection laws like the No Fear Act. Simply put,
I asked the NSA Inspector General (IG) to investigate why my award-winning intelligence report
series supporting Operation Iraqi Freedom (2003) was used to promote an entirely different
woman twice (2004 & 2005) one who had nothing to do with my reports whatsoever, and was a
known incompetent, but had methodically sexually compromised many of the male managers
within the Weapons & Space (W&S) Directorate. Instead of following correct procedure, the IG
and NSA Security decided to cover up the infraction by attacking me. Threats were made to paint
my complaint as paranoid and to fire me for a non-existent mental illness if I did not drop my
effort to get credit for and the promotion for my own work, given to the wrong woman. These

16-mc-49 Statement of Issues

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Wednesday, June 1, 2016

threats quickly took shape as false accusations against me by the guilty personnel obviously
coached by Security, manifested with stalking harassment masquerading as an investigation by
NSA Security goons from 2006-2009. In late 2010, despite all evidence showing my innocence
from ridiculous and impossible charges, I was fired by an NSA Kangaroo court with a
predetermined agenda. My EEOC appeal (lawsuit) had been accepted for adjudication and the
judge had ordered no adverse action until its adjudication but NSA ignored his orders.

I moved from Columbia, Maryland back to my familys hometown of Tallahassee, Florida in


2011. All was quiet until February 2015 when I instructed the law firm I had hired to subpoena
evidence from the Maryland Department of Motor Vehicles identifying a burglar (a now retired NSA
Executive) who had broken into my home very shortly after I had tried to make my 2006
Inspector General request for an investigation, and stolen extra house, car, and mail keys as well
as illegally bugging (burst bug) our home and phone/internet to facilitate further harassment and
likely search for blackmail material (no luck for them there).
After the subpoena, I began noticing Security types in Tallahassee following me and photostalking me by March/April. Their license plates suggested Naval Security Group from Pensacola
and NSA Security personnel from Georgia (Augusta) and Texas (San Antonio). A quick check with
the Leon County Sheriffs Department, specifically Duty Officer deputy Canon, confirmed that NSA
also had personnel land at a private airport and deputies had escorted them the the Phipps
property north of Lake Jackson (near where I now live) for a secret exercise, just before the
second round of stalking harassment began. The sequence of events seems to have been for NSA
Security to contact the Naval Security Group in Pensacola, Florida (Headquartered at Ft. Meade,
Maryland along with NSA) to initially stalk and photograph me under ridiculous false pretenses
until NSA could send its own Security personnel to Tallahassee. Once there, under guise of
authority, it appears that NSA enlisted the help of the Florida Department of Law Enforcement
(FDLE) and its civilian group, InfraGard, made up of civilians recruited from their Ride-Along
programs. As usual, NSA personnel fabricated some big lie as to why the civilians should actively
and passively stalk and harass me, and despite quite obvious questions about why laws and due
process were to be completely suspended in my case, the group eagerly jumped at the
opportunity for hundreds to gang up on one person (for Federal money, I may add).
Thus, under NSA tutelage and FDLE auspices, suddenly I was a cast-iron target, meaning
multiple people covered me wherever I was, whatever I did. Cars were even stationed near my
home overnight on rotating shifts, beeping to each other when changing shifts but also for my
benefit. NSA also sought out willing neighbors to augment their snooping and harassment efforts,

16-mc-49 Statement of Issues

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Wednesday, June 1, 2016

which could be anything from hosting an NSA Security goon for accessibility to my property, both
home (to bug and monitor short-distance transmissions) and car (to install and switch out vehicle
GPS trackers to facilitate car stalking and impeding as harassment. ) Those were the active
participants, others not assigned to me on a certain shift were ordered to quickly text in to a
special site the big bad threat to report my location and time I was there. People even snooped
in my shopping carts to be able to tattle to someone about what I was doing, what I was buying.
(God help us, she bought bananas!!! Save the children!).
This was annoying enough but I tried to ignore it because I thought NSA once again was
going for the usual See, shes paranoid, reporting harassment every day now just dismiss her
lawsuit! But I did report acts of harassment that caused physical damage such as hit
and run, purposely sideswiping my car, (This is exatly what happened to the
PETTITIONER on May 9, 2016 enroute to MEDEXPRESS for pain medications) and
botching the placement/removal of a GPS tracker under my rear spoiler that destroy my
spoiler. (They feared my mechanic would find their tracker so they botched its removal
the night before my appointment). I even made fun of my stalkers when I could, using
my hobby art shop on a popular internet site to create bumper magnets making fun of
them. After all, they were mostly nave, unsophisticated boobs who desperately
imagined that they were little James Bonds and that the greatest existential threat to
their country was a woman waiting for her lawsuit to be decided, living in Tallahassee,
walking her dogs, visiting friends.
In late November 2015, however, NSA apparently decided that I was not
sufficiently being intimidated by their civilian confederacy of dunces to back off my
lawsuit to recover my stolen salary and stolen retirement at the appropriate pay level.
In 2009 I had researched gang-stalking and discovered it was a real and growing
phenomenon, but when electrical harassment was mentioned, I could not really grasp
the concept and wondered about its existence. But I was to find out first hand in
November 2015 that it does exist and is a horrific crime against humanity.
NSA and its operatives started using small, mobile devices called Directed Energy
Weapons (DEWs) against me and my family in the night. These mobile weapons emit
multiple types of electrical emanations from ultrasonic, to microwaves modulated to
radio frequencies, to other kinds of wave variations I cant say I understand yet. Now,
with the help of certain mercenary and morally depraved neighbors, the effort is almost
24/7 now with the intention being torture and slow-kill. These types of weapons over a
lengthy time, cause cancer, autoimmune disease, heart attacks, seizures, strokes, etc.

16-mc-49 Statement of Issues

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It is the perfect stealth murder weapon for a corrupt government.


At this point, when we leave the house, a criminal base of stalkers has been
enlisted by NSA to follow us and aim the DEWs at us wherever feasible to increase
exposure in order to speed up death, with the help of the InfraGard dimwits still texting
in my location like good little sheeple.
The Leon County Sheriffs Department as well as the Tallahassee Police
Department are dragging their feet, making excuses, denying any such thing exists, or
insulting me when I try to enlist their help to come up with a strategy to combat this
new crime before I or one of my family is dead. They cant quite grasp the fact that
this is domestic terrorism and nothing protects the police or any official from this new
weapon held and wielded by criminals. Yet, plenty of recruits in their ranks have
experience using the mobile DEWs in Iraq. It is very interesting to me that the Naval
Security Group headquartered at Ft. Meade with NSA, is also called the Silent
Warriors because they specialize in the use of Directed Energy Weapons. Im sure the
Naval Security Group base in Pensacola has many on hand and may have even gotten a
request from NSA to borrow a few for their secret exercise in Tallahassee.
Clearly, NSA is of the opinion that you do not have Constitutional Rights unless
they say you do. If they use this to get rid of an inconvenient lawsuit such as mine
instead of simply settling for a tenth of the cost of harassment, then they must feel
confident they can murder anyone, anywhere, for any reason and get away with it
including any leader or politician.

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
[email protected]
717-669-2163

16-mc-49 Statement of Issues

Page 15 of 477

Wednesday, June 1, 2016

105 Page DOCUMENT with the


heading

of

Bankruptcy

U.S.
Case

Chapter

11

No.

16-

10517....Page # of #.........May
18, 2016

16-mc-49 Statement of Issues

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Wednesday, June 1, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 1 of 105

May 18, 2016

STOLEN
RECIEPTS AND DOCS
In March of 2016 U.S. Bankruptcy Judge Fehling (Case
No. 16-10167) PERJURED himself in an Opinion and
Memorandum to U.S. District Court for my Appeal of
the Dismissal by stating on the RECORD that I did not
attend the hearing when in fact I filed an exhibit titled
Exhibit re Living Declaration and Statement of Facts,
in Show Cause Hearing of February 18, 2016.
On March 10, 2016 after I called a few days later and
spoke to his Legal Assistant he issued an AMENDED
Opinion and Memorandum to U.S. District Couort
reversing his claim that I did not attend the hearing.

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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

February 18, 2016

Living Declaration and Statement of Facts In The Matter of


CATERBONE v. Lancaster County/City, et.al.,
I have been fighting the government since 1987 over the wholesale extortion of my
business interests, my professional reputation, my land assets, my intellectual property, my future
earnings, my stock holdings, as well as that of my father, as well as the murders of my brothers
and father. If you take the time to chronicle the life of myself, my father, and brother Sammy, you
will find the same pattern of targeting and victimization by U.S. Sponsored Mind Control
Assailants.
Dave Pflumm and Company is just a diversion tactic by Fulton Bank, LNP, Dale S. High,
Southern Regional Police Department, Lancaster City Police Department, Commonwealth (Mellon)
Bank, Manhiem Township Police Department, the U. S. Government and Military Industrial
Complex and the other DEFENDANTS I have sued in various courts!
My brother Tommy died April 29, 1996 in Kill Devil Island, NC, by brother Sammy died on
Christmas Day of 1984 in Santa Barbara CA, and my father died on July 20, 2001 in New York
City. If you know anything about COINTELPRO and U.S. Sponsored Mind Control you will realize
that Satanic Cults and the Masons are all intertwined in the experiences used as different
perpetrator mechanisms to harass, assault, recruit, etc., The wrongful death claim against Fulton
Bank for the embezzlement of $72,000 leading to the suicide of Tommy some 9 months later, and
my past investigation into the death of my brother Sammy in Santa Barbara are a matter of
record and are in just about every court case that I have filed.

Stan J. Caterbone "Living" Declaration

Page 1 of 63

February 18, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 44 of 105

May 18, 2016

I did not suspect anything of my father's death until the past year when 1. I began having
difficulty walking at night; 2. when I put together the time line of my father's inheritance of some
$70,000 from his mother, Mary Caterbone in May of 2001; the symptoms he suffered on Memorial
Day weekend in 2001 when he summoned me to New York City to help him with his basic living
needs because he could not walk; the fact that he died 6 weeks later of lung cancer and the
testimony of Mind Control Expert Julliane McKinney, Dr. John Hall, Nick Begich, Dr. Colin Ross, Dr.
Terry Robertson, Russell Targ, and others in describing the lethal methods of the weapons on
victims and the use of weapons to simulate heart attacks, cancers, and the like in the killing of
some Targeted Individuals.
It must also be known of my intimate and professional associations with the Defense
Intelligence Agency, the Department of Defense, the Defense Advanced Research Project Agency
(DARPA), the Department of Defense, the National Security Agency (NSA), and the Central
Intelligence Agency (CIA) as it relates to my past contracting experience in the field of optical
publishing and the Whistleblowing activities as it relates to International Signal and Control, Plc.,
or ISC.
For more information contact George Noorey of Coast to Coast for a broad expose on the
above subject matter as it relates to U.S. Sponsored Mind Control. He has interviewed most of
the experts and he served in the Navy.

ACTIVE COURT CASES


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
___________/S/_________________
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

Stan J. Caterbone "Living" Declaration

Page 2 of 63

February 18, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 45 of 105

May 18, 2016

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

February 3, 2016
ACTIVE COURT CASES
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

Advanced Media Group and Stan J. Caterbone Obstruction of Justice


- A LANDMARK CASE February 3, 2016

TABLE OF CONTENTS
1. Advanced Media Group and Stan J. Caterbone Dispute with PACER.GOV to Epic
Card SR 1-2933443521 February 3, 2016
2. Stan J. Caterbone and Advanced Media Group - Pennsylvania Attorney General
BCP Complaint Form February 2, 2016
3. TABLE OF CONTENTS Lambert LNP Sunday News, February 1, 2016 January 31,
2016 - Lancaster Newspapers Sunday Edition Headlines "In a killers words:
Lisa Michelle Lambert, nearly 25 years since Laurie Shows murder, claims
innocence in new book"
1. January 31, 2016 - Lancaster Newspapers Sunday Edition Headlines "In a
killers words: Lisa Michelle Lambert, nearly 25 years since Laurie Shows
murder, claims innocence in new book"
4. Stan J Caterbone, International Signal Control or ISC, The CIA, The NSA, and
U.S. Sponsored Mind Control in Lancaster Pennsylvania - November 18, 2015
Copyright

Stan J. Caterbone "Living" Declaration

Page 3 of 63

February 18, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 46 of 105

May 18, 2016

5. Stan J. Caterbone and Advanced Media Group United States Department of


Justice Civil Rights Complaint January 19, 2016
6. January 25, 2016 - Third Circuit Case 15-3400 - COMPLAINT OF JUDICIAL
MISCONDUCT OR DISABILITY Form
1. January 25, 2016 - BRIEF STATEMENT
7. December15, 2015 - Open Letter to the Editor of Newslanc.com re Kathleen
Kane and Old Boys Network December 15, 2015
1. November 12, 2015 Letter to Kathleen Kane re Good Old Boys
2. November 13, 2015 - Letter From Kathleen Kane re Good Old Boys
3. December 9, 2015 - KEISLING - Palace coup - what the Kathleen Kane
prosecution is really about December 9, 2015
4. December 14, 2015 - Recorded 15-3400 Lambert Appeal MOTION TO
DISMISS December 14, 2015
8. January 24, 2016 - By Brad Bumstead, "Woes across government branches
tarnish Pa.'s image, experts say"

Stan J. Caterbone "Living" Declaration

Page 4 of 63

February 18, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 47 of 105

May 18, 2016

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

February 3, 2016
ACTIVE COURT CASES
U.S.C.A. Third Circuit Court of Appeals Case No. 16-1149;15-3400; 16-1001; 074474
U.S. District Court Eastern District of PA Case No. 15-03984; 14-02559; 052288; 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; 0603349, CI-06-03401
U.S. Bankruptcy Court for The Eastern District of Pennsylvania Case No. 1610157
Epic Card
P.O. Box 245998
San Antonio,TX 78224

re: SR 1-2933443521, Pacer.gov for $216.40


Please see the attached documents regarding the severity of the legal
implications and obstruction of justice pertaining to the above court cases. I am
currently litigating important matters that affect everything from the release of
innocent victims serving life sentences in state prisons to national security matters,
to the victimization of the Pennsylvania Attorney General, Ms. Kathleen Kane.
If you remember, back in early fall I filed a similar complaint against a
Polygrapher named Polygraph Solutions. I don't want the same irresponsible and
false findings this time.
____________/S/_______________
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

Epic Credit
Obstruction
Stan
J. Caterbone
Card
of Justice
Complaint
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page
Page115
1ofof
of59
56
59
63

February
February18,
3, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 48 of 105

May 18, 2016

Consumer Complaint Form


KATHLEEN G. KANE
ATTORNEY GENERAL

Bureau of Consumer Protection


th
15 Floor, Strawberry Square
Harrisburg, PA 17120

[email protected]

www.attorneygeneral.gov

1-800-441-2555 PA ONLY
1-717-787-9707

Required fields are marked with an asterisk*


Your information:
Age Group:
Are you a veteran?

Yes

Are you on active duty?

Yes

Mr.
Mrs.

Ms.
Dr.

No
No

Under 18
18-34
35-59

60-64
65 and older

Name*

Stan J. Caterbone

Address*

1250 Fremont Street


City*

Lancaster
Daytime Phone Number*

Home Phone Number*

( 717

) 669-2163

717

826-5354

State*

Zip Code*

County*

PA

17603

Lancaster

Email Address

[email protected]

If completing this form on behalf of someone else, please complete the following information:
Age Group:
Are they a veteran?

Yes

Are they on active duty?

Yes

Mr.
Mrs.

Ms.
Dr.

No
No

Under 18
18-34
35-59

60-64
65 and older

Name*

Advanced Media Group

Address*

same as above
City*

State*

Daytime Phone Number

Home Phone Number

( 717

) 669-2163

717

Zip Code*

County*

Email Address

826-5354

Who is the complaint against?


Business/Person Name*

Phone Number:

Ebay, PayPal, Pacer.gov, Sprint, PNC Bank,

Name of the individual of whom you complained

Customer Service for the above


Mailing Address

City

State

Product or Service Purchased

Date of Purchase

Online Accounts

Epic Credit
Obstruction
Stan
J. Caterbone
Card
of Justice
Complaint
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page
Page226
2ofof
of59
56
59
63

Zip Code

County

Purchase Price

February
February18,
3, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 49 of 105

May 18, 2016

Legal Representation:
Have you retained an attorney?

Yes

No

Attorneys Name

Address

City

State

Daytime Phone Number


(

Where was the legal action filed?

Have you filed a legal


action?
Yes
No

Zip Code

County

If yes, please state when:

What decision was made?

Other Agencies:
Have you contacted other agencies?

Yes

No

What agencies were contacted?

U.S. Attorney, FBI, both Harrisburg and Philadelphia, Lancaster City Police,
What action was taken?

Lancaster County District Attorney Detectives, of Computer Hacking, None


Complaint Information:*
Please explain your complaint. You may use additional sheets if necessary. Please print or type clearly.
Try to be brief, but be sure to tell WHAT happened, WHEN it happened and WHERE it happened. Be
specific about any oral statements the business made to you, ESPECIALLY those that influenced you to
deal with the company. Describe events in the order in which they happened. Attach COPIES of all
contracts, letters, receipts, canceled checks (front & back), advertisements or any other papers that relate
to your complaint.

I have been systematically locked out of the above accounts and can no longer
conduct my financial and legal affairs. The Pacer.gov account deprives me from
continuing my litigation in the U.S. District Court for the Eastern District of Pennsylvania
and the U.S. Court of Appeals for the Third Circuit. I have electronic filing privledges
in both courts and currently have active cases, which I am litigating as a pro se
plaintiff, petitioner, and appellant. Active Cases are 14-02559, 15-03984 in the
U.S. District Court and 15-3400, 16-1001, and 16-1149 in the U.S. Third Circuit
Court of Appeals. This is a flagrant case of obstruction of justice, as well as
other civil rights violations and possibly violations of criminal statutes, including
RICO, both civil and criminal. This is a bona fide pattern of conduct in that
it has been ongoing since 1987.
I have been complaining to all law enforcement agencies of computer hacking
since June. And have been complaining since 2005 regarding the same problems
to all
the
above.
Epic Credit
Obstruction
Stan
J. Caterbone
Card
of of
Justice
Complaint
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page
Page337
3ofof
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56
59
63

February
February18,
3, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 50 of 105

May 18, 2016

What would you like the business to do to settle your complaint?

Restore my online accounts and retain all histories of accounts, and provide
a secure internet connection from Comcast Cable, which may be in collusion
with the computer hackers, or maybe the computer hackers.

PLEASE READ CAREFULLY


THE ATTORNEY GENERAL CANNOT ACT AS YOUR PRIVATE ATTORNEY
As a law enforcement agency, the primary function of the Office of Attorney General is to represent the
public at large by enforcing laws prohibiting fraudulent or deceptive trade practices that impact the public
interest.
The Attorney General, through the Bureau of Consumer Protection (Bureau), provides a mediation
service to consumers where an attempt may be made to mediate individual consumer complaints which
fall within the Bureaus jurisdiction. The information you provide will be used in an attempt to resolve your
complaint and will be shared with the party(ies) against which the complaint is filed. Additionally, your
complaint may be shared with or referred to other Governmental Law Enforcement or Regulatory
Agencies.
NOTE: We cannot mediate a matter which is or has been the subject of legal action.
Your complaint will be kept on file and may be used to establish violations of PA law.
By signing below:
1. I certify that the information provided in my complaint, including my identity and any
factual statements or allegations, are true and correct to the best of my knowledge,
information and belief.
2. I certify that I have read and understand the informational sheet about the mediation
process; and, further certify my understanding that the Bureau cannot provide individual legal
representation to me.
3. I certify that I have authorized the Bureau to contact the party(ies) against which I have
filed a complaint; and, that I further authorize the party(ies) against which I have filed a
complaint to communicate with and provide information related to my complaint to the
Bureau.
4. I certify that I have authorized the Bureau to transfer my complaint, and any or all
attachments related to it, to another federal, state, local or other agency which may have
jurisdiction over this matter.

February 2, 2016
YOUR SIGNATURE

DATE

Please include copies of all documents regarding your problem. Be sure to send COPIES, not
originals.

Epic Credit
Obstruction
Stan
J. Caterbone
Card
of Justice
Complaint
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page
Page448
4ofof
of59
56
59
63

February
February18,
3, 2016

U.S. Chapter 11 Bankruptcy Case No. 16-10517

Page 51 of 105

May 18, 2016

Consumer Complaint Form


KATHLEEN G. KANE
ATTORNEY GENERAL

Bureau of Consumer Protection


th
15 Floor, Strawberry Square
Harrisburg, PA 17120

[email protected]

www.attorneygeneral.gov

1-800-441-2555 PA ONLY
1-717-787-9707

WHEN SHOULD YOU FILE A COMPLAINT


If you are unable to resolve a problem with a business (see, Problem-Solving Tips, below), you may
wish to file a complaint with the Office of Attorney General, Bureau of Consumer Protection (Bureau).
You can download a complaint form from our website at www.attorneygeneral.gov or you can call our tollfree number, 1.800.441.2555, to have a form mailed to you.
The Bureau provides a mediation service to consumers where an attempt may be made to mediate
individual complaints which fall within the Bureaus jurisdiction. The information you provide will be used
in an attempt to resolve your complaint and will be shared with the party(ies) against which the complaint
is filed. Additionally, your complaint may be shared with or referred to other governmental law
enforcement or regulatory agencies.
NOTE: (1) Participation in the mediation process is voluntary and we cannot compel a business
to cooperate; and (2) We cannot mediate a matter that is already or has been the subject of legal
action.
When we receive your completed complaint form, it will be reviewed by our staff and, depending on the
nature of the complaint, one of the following courses of action may be taken.
We may refer your complaint to a local, state or federal agency, which has primary jurisdiction over
the subject matter. If your complaint is referred to such an agency or organization, you will be
notified by mail of its name and address, so you may follow up on your complaint.
If your complaint falls with the Bureaus jurisdiction, we may attempt to initiate our voluntary
mediation process with the business, in which case you will receive a letter with your file number and
the name of the agent who will handle the mediation. Please keep your file number for future
reference when contacting this office.
NOTE: Because of the volume of complaints the Bureau receives, it may take some time before
we review and process your complaint. We ask for and appreciate your patience during this time.
NOTE: In order to document your complaint file and keep it up-to-date, we request
communications from you and the business to be in writing.

You will be notified by mail when we receive information regarding your case.
TO HELP US HELP YOU, PLEASE REFRAIN FROM CALLING FOR STATUS REPORTS.

If mediation efforts are not successful, you may be advised to seek relief either through a private attorney
or through Magisterial District Court. The Bureau cannot provide you with private legal counsel or offer
legal advice. The Bureau represents the public at large in its enforcement of the Unfair Trade Practices
and Consumer Protection Law (Consumer Protection Law). The Consumer Protection Law does
provide individual consumers with the ability to bring a private action, citing unfair and deceptive business
practices.
PROBLEM-SOLVING TIPS
It is helpful for you to try to resolve your own complaint before contacting the Bureau. However, if you
have exhausted your efforts to resolve the problem without success, contact the Office of Attorney
General promptly for assistance.
NOTE: If your claim involves a dispute of charges placed on your credit card, or billing statement or if a
merchant has promised to reverse or credit your charge card but has failed to do so, you must act quickly
to preserve your right to challenge a charge. Under the Federal Fair Credit Billing Act, your credit card
company must receive a written dispute notice from you within 60 days after the first bill containing the
disputed charge was mailed to you. The Bureau cannot dispute this charge for you. Look at the back
of your credit card statement for specific information regarding the procedure for filing your dispute. You
must file your dispute with your credit card company, a complaint to the merchant or company that made

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the charge is not sufficient. Even if you file a credit card dispute, you can still file a complaint with our
office.
IDENTIFY THE PROBLEM
Before you complain to a company, be sure to identify the problem, what (if anything) you have already
done to resolve the problem and what you think is a fair settlement. For example, do you want your
money back? Would you like the product repaired? Do you want the product exchanged?
GATHER RECORDS
Start a file about your complaint. Include copies of sales receipts, repair orders, warranties, canceled
checks, and contracts which will back up your complaint and help the company solve your problem.
Go to the place you made the purchase. Contact the person who sold you the item or performed the
service. Calmly and accurately explain the problem and what action you would like taken. If that person
is not helpful, ask for the supervisor or manager and restate your case. A large percentage of consumer
problems are resolved at this level. Chances are, yours will be too.
Allow each person you contact time to resolve your problem before contacting someone else.
Keep a record of your efforts and include the names of those you spoke with and what was done about
the problem. Save copies of any letters you send to the company, as well as letters sent to you.
WRITING A COMPLAINT LETTER
The letter should include your name, address, home and work telephone numbers, and the account
number, if appropriate.
Make your letter brief and to the point. Specify all the important facts about your purchase, including the
date and place you made the purchase and any information you can give about the product, such as the
serial or model number. If you are writing to complain about a service you received, describe the service
and who performed it.
State exactly what you want done about the problem and how long you are willing to wait to resolve it.
Have reasonable expectations.
Include copies of all documents regarding your problem. Be sure to send COPIES, not originals.
Dont write an angry, sarcastic, or threatening letter. The person reading your letter probably was not
responsible for your problem, but may be very helpful in resolving it.
Type your letter if possible. If it is handwritten, make sure it is neat and easy to read.
Keep a copy of all correspondence to and from the company, as well as a copy of your complaint.
OTHER ASSISTANCE
If you are not satisfied with the response, dont give up. If the company operates nationally or the product
is a national brand, call or write a letter to the person responsible for consumer complaints at the
companys headquarters, e.g., the companys public relations representative or president. Many
companies have toll-free telephone numbers, often printed on the product. Before telephoning a
company long distance, check to see if the firm has a toll-free number.
If you have questions concerning the specific application or interpretation of the law, you should consult a
private attorney. If you do not have an attorney, you can call your county lawyer referral service or your
county bar association. Other agencies may be accessed through the blue pages of your telephone
director.
The Bureau is charged with identifying patterns of business practices which may violate the Consumer
Protection Law. Even if you have resolved your complaint, you can forward a statement regarding your
experience, with attached documents, for the Bureaus reference.
Thank you for bringing this matter to our attention. We hope we can be of assistance to you.

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Gmail - Resolution of Buyer Complaint Case # PP-004-531-254-883


https://mail.google.com/mail/u/0/?ui=2&ik=acf0584318&view=pt&sear...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 53 of 105
May 18, 2016

1 of 1

Stan Caterbone <[email protected]>

Resolution of Buyer Complaint Case # PP-004-531-254-883


1 message
[email protected] <[email protected]>
To: [email protected]

Tue, Feb 2, 2016 at 1:42 PM

Hello Advanced Media Group,


Recently, PayPal received a claim from a user regarding merchandise not received or received not-as-described. The
details of this transaction are as follows:

Case ID: PP-004-531-254-883


Transaction Date: Jan 9, 2016
Transaction Amount: -$135.00 USD
Buyer's Email: [email protected]
Buyer's Name: Daniel Suarez

Our investigation is now complete and we regret to inform you that the transaction has been reversed in accordance
with PayPal's Seller Protection Policy and the PayPal User Agreement, Section IV, Paragraph 3.
PayPal investigates claims of fraudulent buyers and transactions in order to protect the integrity of our payments
network. To protect yourself from fraudulent transactions, please be sure to follow the steps outlined in our Seller
Protection Policy
To learn more about PayPal's Seller Protection Policy, go to: https://www.paypal.com/us/spp
To view the PayPal User Agreement, go to: https://www.paypal.com/us/UA
If you believe this refund was made in error, you may appeal our decision using the link below:
https://www.paypal.com/us/cgi-bin/?cmd=_complaint-view-details&cid=PP-004-531-254-883
Please understand that appealing the decision for this Buyer Complaint case will not guarantee a reversal of the
decision.
Sincerely,
Protection Services Department

Please do not reply to this email. This mailbox is not monitored and you will not receive a response. For assistance,
log in to your PayPal account and click the Help link in the top right corner of any PayPal page.
PPID PP655 - 583adf6d33a6f

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Gmail - Second Request for Information About Buyer Complaint: Case ...
https://mail.google.com/mail/u/0/?ui=2&ik=acf0584318&view=pt&cat...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 54 of 105
May 18, 2016

Stan Caterbone <[email protected]>

Second Request for Information About Buyer Complaint: Case


#PP-004-531-254-883
2 messages
[email protected] <[email protected]>
To: [email protected]

Sat, Jan 23, 2016 at 4:02 PM

Dear Advanced Media Group,


We recently notified you of a complaint we received from a buyer regarding
merchandise that either was never received or did not match the original
description.
We may temporarily hold the funds associated with this transaction while
you respond with information about this case. Please review details of the
transaction below.

----------------------------------Transaction Details
-----------------------------------

Buyer's name: Daniel Suarez


Buyer's email: [email protected]
Transaction ID: 77N98285UT6398834
Transaction date: Jan 9, 2016
Transaction amount: $135.00 USD
Your transaction ID: 0NA8928719672163X
Case number: PP-004-531-254-883

----------------------------------What to Do Next
-----------------------------------

1) Log in to your PayPal account


2) Click the "Resolution Center" tab at the top of the page
3) Click the "Respond" button next to this case

----------------------------------Due Dates
----------------------------------Provide additional information within 10 calendar days from the date this
case was filed.

-----------------------------------

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Gmail - Second Request for Information About Buyer Complaint: Case ...
https://mail.google.com/mail/u/0/?ui=2&ik=acf0584318&view=pt&cat...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 55 of 105
May 18, 2016

Other Details
----------------------------------To review the PayPal User Agreement, visit the PayPal site and click the
"Legal Agreements" link on the bottom of any page.
Thank you for your patience and cooperation in this matter.
Sincerely,
PayPal
Protection Services Department
Please do not reply to this email. This mailbox is not monitored and you
will not receive a response. For assistance, log in to your PayPal account
and click the Help link in the top right corner of any PayPal page.
BC:PP-004-531-254-883:R2:USD135.00:1/20/2016:0NA8928719672163X

PPID PP727 - 5bb124946d644


Stan Caterbone <[email protected]>
To: [email protected]

Sat, Jan 23, 2016 at 4:37 PM

January 23, 2016


I am locked out of PayPal and cannot verify payment. I will sue paypal if they are locking me out so that the person
complaining can commit fraud by not sending payment then collecting a refund from my cash in my paypal account.

ACTIVE COURT CASES


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

Stan J. Caterbone, Pro Se Litigant


ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

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https://mail.google.com/mail/u/0/?ui=2&ik=acf0584318&view=pt&cat...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 56 of 105
May 18, 2016

/S/ Stan J. Caterbone


Stan J. Caterbone, Pro Se Litigant
Advanced Media Group
www.amgglobalentertainmentgroup.com
Linkedin Professional Networking Profile (click here)
PRIVILEGED AND CONFIDENTIAL: Stan J. Caterbone, Pro Se Litigant, and the Advanced Media Group are
victims of U.S. Sponsored Mind Control and has been engaged in litigation in both Federal and State courts
seeking financial and social remedies and a resolution of his Civil Liberties and his Constitutional Rights. These
communications are our way of defending and protecting those rights. In 1987 Stan J. Caterbone, while
managing the financial firm the he founded, Financial Management Group, Ltd., Stan J. Caterbone became a
Federal Whistleblower when, as a shareholder, he claimed fraud and misconduct within the international arms
dealer and local start-up International Signal & Control, Plc., Some 4 years later ISC was indicted and plead
guilty to the 3rd largest fraud in U.S. history, some $1 Billion, and for selling arms to Irag via South Africa. In
June of 2015 Stan J. Caterbone became the Movant in the U.S. District Court for the Eastern District of
Pennsylvania case No. 5:14-cv-02559-PD for the Habeus Corpus Petition of Lisa Michelle Lambert. The case is
now before the U.S. Third Circuit Court of Appeals, Case No. 15-3400.

[Quoted text hidden]

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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

February 1, 2016
ACTIVE COURT CASES
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

Advanced Media Group Version - In A Killers Words Lisa Michelle Lambert, Nearly 25
Years Since Laurie Shows Murder,
Lambert Claims Innocence In New Book, January 31, 2016

TABLE OF CONTENTS
1. January 31, 2016 - Lancaster Newspapers Sunday Edition Headlines "In a
killers words: Lisa Michelle Lambert, nearly 25 years since Laurie Shows
murder, claims innocence in new book"
2. September 2, 2015 - Lambert MOTION to File SUMMARY JUDGEMENT by Movant
Case No. 5-14-cv-02259 September 2, 2015 signed for LNP
3. September 15, 2015 - United States District Court Lisa Michelle Lambert Habeus
ORDER Summary Judgement DENIED Case No 5-14-cv-02559-PD September 15,
2015
4. November 29, 2016 - 14-02259 Lambert Habeus MOTION to Recuse Judge Paul
Diamond November 29, 2015
5. September 15, 2015 - United States District Court Lisa Michelle Lambert Habeus
ORDER Summary Judgement DENIED Case No 5-14-cv-02559-PD September 15,
2015

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6. December 31, 2015 - Recorded 15-3400 Third Circuit Court of Appeals LETTER to
Clerk of Court re RESCIND Motion to Dismiss Without Prejudice, December 31, 2
7. January 12, 2016 - 15-3400 Lambert Third Circuit Court of Appeals Lambert
Appeal ORDER GRANTING Motion to Dismiss Without Prejudice January 12,
2016
8. January 15, 2016 - Recorded Third Circuit 15-3400 Lambert Appeal MOTION
FOR THIRD CIRCUIT COURT OF APPEALS JUDGE MICHAEL FISHER TO RECUSE
January 15, 2016
9. Form for Stanley J. Caterbone, Pro Se, U.S.C.A. Third Circuit COMPLAINT OF
JUDICIAL MISCONDUCT OR DISABILITY of January 25, 2016 with Act
10. Brief Statement of Facts
11. EXHIBITS
12. Open Letter to the Editor re Kathleen Kane and Good Old Boys Network January
24, 2016
13. November 13, 2015 Letter From Attorney General Kathleen Kane re "Good Old
Boys"
14. December 14, 2015 Motion to Dismiss Case No. 15-3400
15. November 12, 2015 Letter to Attorney General Kathleen Kane re "Good Old
Boys' and the NSA
16. Article by Bill Keisling re "Palace coup: What the Kathleen Kane Prosecution is
Really About"
17. January 25, 2015 DOCKET for US District Court Case No. 14-02559
18. Advanced Media Group Press Release re Stalking Legislation December 17,
2015
19. Receipts Stanley J. Caterbone, Pro Se, U.S.C.A. Third Circuit COMPLAINT OF
JUDICIAL MISCONDUCT OR DISABILITY of January 25, 2016
20. November 12, 2015 Letter to Kathleen Kane re Good Old Boys
21. November 13, 2015 - Letter From Kathleen Kane re Good Old Boys
22. December 14, 2015 - Recorded 15-3400 Lambert Appeal MOTION TO DISMISS
December 14, 2015
23. December 9, 2015 - KEISLING - Palace coup - what the Kathleen Kane
prosecution is really about December 9, 2015

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24. January 25, 2016 - Woes across government branches tarnish Pa.'s image,
experts say, by Brad Bumstead January 25, 2016
25. Letter from Pennsylvania Representative Mike Sturla re Organized Stalking Bill
of June 8, 2009
26.

Cover Page for Executive Summary

27.

Executive Summary

28.

Updates for Executive Summary October 10, 2015

29.

History of Federal Whistleblowing Case and Targeted Individual

30.

The Courts and the United States Legal System

31.

Family History

32.

The Public Record

33.

Is Lancaster County Ground Zero for U.S. Sponsored Mind Control

34.

Affidavit of Joinment of October 10, 2015

35.

29 FALSE ARRESTS RECORD Since 1987

36.

21 ILLEGAL NO TRESPASS NOTICES

37.

Stan Caterbone's Notarized Affidavit for FFCHS September 16, 2010

Redacted Version
38.

Stan Caterbone's Detailed Victimization Affidavit of 2010

39.

Samuel P Caterbone US Sponsored Mind Control Affidavit 1996

40.

Sammy A. Caterbone Affidavit of US Sponsored Mind Control 1991

41.

Biography and Resume of Stan J. Caterbone

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U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 60 of 105
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In a killers words: Lisa Michelle Lambert, nearly 25 years since Laurie ...
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U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 68 of 105
May 18, 2016

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U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 69 of 105
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Page 70 of 105

May 18, 2016

Stan J. Caterbone
MOVANT
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163
717-459-7588 Fax
www.amgglobalentertainmentgroup.com
September 21, 2015
BREAKING NEWS
ADVANCED MEDIA GROUP Releases Stan J. Caterbone's International
Signal & Control or ISC Whistleblowing History and Mind Control Relationships
Document of September 21, 2015. This is an all-inclusive document that provides
the evidence beyond a preponderance of doubt to prove the following (download in
pdf format on scribd for bookmarks). Turn to the ISC Timeline of Events and the
Lancaster Newspapers ISC Archives for a synopsis of events. The following is
proven:

Stan J. Caterbone was a Federal Whistleblower in 1987 regarding ISC

The 29 False Arrests and Prosecutorial Misconduct that Stan J. Caterbone was
subject to in 1987 through 2015 was an effort to cover-up the allegations
made by Stan J. Caterbone in the Spring and Summer of 1987 after the
Meeting of June 23, 1987 with ISC and United Chem Con Executive Larry
Resch.

The ISC Fraud and Sales of Arms to Iraq Story by the ABC News Nightline
with Ted Koppel and the Financial Times of London in May, July, and
September of 1991 was most likely initiated by Lancaster Newspapers
reporter Thomas Flannary.

Thomas Flannary's mysterious death in February of 2004 was either murder


by poison or was a cover story to hide the fact that he was a CIA operative
used to control the flow of information, disinformation, and propaganda. It is
highly subject that he began his career with Lancaster Newspapers in 1987
and is not a native Lancastrian.

The ISC merger was not completed until December of 1987, 3 months after
the False Arrests of Stan J. Caterbone.

The official meeting with the Pennsylvania Securities Commission Agent


Howard Eisler in September of 1987, which was solicited by Agent Eisler was
an effort to illegally interrogate Stan J. Caterbone without a legal subpoena.

In the months after the June 23, 1987 meeting with ISC Executive Larry
Resch Stan J. Caterbone had personally solicited a vast array of local, state,
and federal officials, including the FBI and Congressman Robert Walker, PA
State Representative Gibson Armstrong for assistance in the retaliation and
slander campaign that was in progress.

Epic Credit
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Page 71 of 105

May 18, 2016

Page 2

There is credible linkage between the ISC Scandal, U.S. Sponsored Mind
Control, Stan J. Caterbone's family VICTIMIZATION of the same, and the
participation of LANCASTER COUNTY, PENNSYLVANIA.

The Zook Murder Appeal proves that Lancaster County Detective Michael
Landis, Judge James Cullen, and Judge Farina of the Lancaster County Court
of Common Pleas were all involved in U.S. Sponsored Mind Control before
2004 and before Stan J. Caterbone went public with his VICTIMIZATION of
U.S. Sponsored Mind Control.

Bobby Ray Inman, former director of the National Security Agency (NSA) was
on the Board of Directors of ISC and was involved in U.S. Sponsored Mind
Control Technologies through his company S.A.I.C. Corporation. Bobby Ray
Inman would later be selected by Former President Bill Clinton for his Director
of Defense, but would later remove himself due to allegations and public
scrutiny for his role in the ISC scandal.

In the Fall of 1991 Robert Gates was nominated for Director of the Central
Intelligence Agency (CIA) and during his televised confirmation hearings the
was subject to brutal array of questions concerning his participation in the ISC
scandal. He went on to be nominated and later would serve both the Bush
Administrations and the Obama Administrations as Secretary of Defense until
resigning in 2011.

There have been at least 3 documented attempts on the life of Stan J.


Caterbone; 1987, 1991, and 2004, all attempts at vehicular homicide.
Thomas P. Caterbone's passing in 1996 was the result of a wrongful death
claim by Fulton Bank. Samuel A. Caterbone was most likely an MKULTRA
murder tactic in Santa Barbara, California on December 25, 1984. Samuel P.
Caterbone was most likely the result of an MKULTRA murder tactic on July 20,
2001 in New York city.

The above finding of facts and evidence corroborates a vast conspiracy and
criminal enterprise that violates both civil and criminal RICO statutes and
antitrust statutes.

The above would constitute treble damages for Stan J. Caterbone and
Advanced Media Group in U.S. District Courts, specifically in the Eastern
District for Pennsylvania Case No. 05-2288, 06-4650, 14-02559, and other
related cases; and Case No. 08-13373 in the Lancaster County Court of
Common Pleas.

Stan J. Caterbone, Pro Se Litigant


1250 Fremont Street
Lancaster, PA 17606
717-669-2163
[email protected]
www.amgglobalentertainmentgroup.com

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Case: 15-3400

Page 72 of 105

Document: 003112182116

Page: 1

May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016

www.amgglobalentertainmentgroup.com
[email protected]
(717) 826-5354
(717) 669-2163 text or call

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
January 19, 2016
U.S. Attorney
Zane David Memeger
U.S. Attorney's Office
U.S. Department of Justice
Civil Rights Division
615 Chestnut Street, Suite 1250
Philadelphia, PA 19106
Re:

Civil Rights Complaint of Hate Crime; Discrimination; Official Misconduct; and Interference
with Right to Vote, Obstruction of Justice, Obstruction of Due Process, Abuse of Service
Current Federal Court Case Numbers: U.S.C.A. 15-3400, 16-1001, E.D.O.P. 14-02559, 1503984, Superior Court of Pennsylvania 1561 MDA 2015, 1915 MDA 2015, Lancaster County
Court of Common Pleas CI-15-10167, CI-08-13373, CI-06-03349

To Whom It May Concern;


The following outlines a vast array of criminal acts perpetrated against my person; my property;
and my company Advanced Media Group.
I have prepared the following summary for my Preliminary Emergency Injunction For Relief, which
is already filed in the United States District Court for the Eastern District of Pennsylvania. It should
receive a docket number this week. The required In Forma Pauperis Application and Case
Management Tracking forms were mailed to the Clerk of Courts on November 5, 2009. The brief
summary alleges instances of the above referenced crimes, which you investigate as per your
webpage; which is also copied below. The summary reads
Due to the actions and criminal activity of the foregoing, see Part I, Parties and Complaints, it is
reasonable to prove that every aspect of the Complainants life, Stan J. Caterbone, is subject to
undo influence; harassment; torture; obstruction; etc. thus resulting in irreparable harm and
injury. This situation and set of circumstances as outlined here, and in Part II, Finding of Facts, and
all previous filings; reports; and statements, is a prescription for only one endgame - death or
suicide. There is no life action or activity that is immune from this horrendous HATE CRIME. The
precedent and landmark elements that make this so appalling is that the Complainant has never

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Page: 2

May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016

www.amgglobalentertainmentgroup.com
[email protected]
(717) 826-5354
(717) 669-2163 text or call

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
U.S. Department of Justice
Civil Rights Division
950 Pennsylvania Avenue, N.W.
Criminal Section, PHB
Washington, D.C. 20530
(202) 514-3204
(202) 514-8336 - FAX
Re:

January 19, 2016

Civil Rights Complaint of Hate Crime; Discrimination; Official Misconduct; and Interference
with Right to Vote, Obstruction of Justice, Obstruction of Due Process, Abuse of Service
Current Federal Court Case Numbers: U.S.C.A. 15-3400, 16-1001, E.D.O.P. 14-02559, 1503984, Superior Court of Pennsylvania 1561 MDA 2015, 1915 MDA 2015, Lancaster County
Court of Common Pleas CI-15-10167, CI-08-13373, CI-06-03349

To Whom It May Concern;


The following outlines a vast array of criminal acts perpetrated against my person; my property;
and my company Advanced Media Group.
I have prepared the following summary for my Preliminary Emergency Injunction For Relief, which
is already filed in the United States District Court for the Eastern District of Pennsylvania. It should
receive a docket number this week. The required In Forma Pauperis Application and Case
Management Tracking forms were mailed to the Clerk of Courts on November 5, 2009. The brief
summary alleges instances of the above referenced crimes, which you investigate as per your
webpage; which is also copied below. The summary reads
Due to the actions and criminal activity of the foregoing, see Part I, Parties and Complaints, it is
reasonable to prove that every aspect of the Complainants life, Stan J. Caterbone, is subject to
undo influence; harassment; torture; obstruction; etc. thus resulting in irreparable harm and
injury. This situation and set of circumstances as outlined here, and in Part II, Finding of Facts, and
all previous filings; reports; and statements, is a prescription for only one endgame - death or
suicide. There is no life action or activity that is immune from this horrendous HATE CRIME. The
precedent and landmark elements that make this so appalling is that the Complainant has never

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Page: 3

May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
done anything to set these circumstances in motion but to be right regarding International Signal &
Control back in 1987; as well as many other proclamations and forecasts. That being said, it is also
widely reported that many Targeted Individuals and Victims of U.S. Sponsored Mind Control are
lead to death and/or suicide. The Lancaster Community-At-Large is guilty of creating; abetting;
fostering; and executing this tragedy. The fact that local; state; and federal law enforcement
induce and encourage this environment of hate is landmark.
I am alleging you have jurisdiction to investigate according to the following statutes:
HATE CRIMES (18 U.S.C. 241, 18 U.S.C. 245 and 42 U.S.C. 3631) -- Violent and
intimidating acts of racial, ethnic and religious hatred that interfere with federally protected rights,
such as housing, employment, voting, and public services.
OFFICIAL MISCONDUCT (18 U.S.C. 241, 18 U.S.C. 242) -- Intentional acts by law
enforcement officials who misuse their positions to unlawfully deprive individuals of constitutional
rights, such as the right to be free from unwarranted assaults, illegal arrests and searches, and
theft of property.
INTERFERENCE WITH THE RIGHT TO VOTE (18 U.S.C. 241, 18 U.S.C. 242, 18 U.S.C.
245, 18 U.S.C. 594 and 42 U.S.C. 1973gg-10(1)) -- Voter intimidation or voter suppression
schemes that target victims on the basis of race, color, national origin, or religion.
The complaints are contained in PART I and PART II of the Preliminary Emergency Injunction For
Relief.
10 USC 921, Article 121 -- Larceny and wrongful appropriation
10 USC 920A, Article 120a -- Stalking
18 2340 USC -- Torture
18 USC 241 -- Conspiracy against rights of sovereign, free, God created, spirit and soul
beings
18 USC 213 -- Illegal Surreptitious entry
18 USC 242 -- Deprivation of rights under color of law
18 USC 35 -- Imparting or conveying false information
18 USC 1117 -- Conspiracy to Murder
18 USC 1111 -- Murder
18 USC 1905 -- Disclosure of information generally
42 USC 1983 -- Civil action for deprivation of rights
42 USC 1985 -- Conspiracy to interfere with civil rights
31 USC 5328 -- Whistleblower protections
18 USC 1512 -- Engaging in misleading conduct
18 USC 1503 -- Intimidating a witness/victim
18 USC 1512 -- Tampering with a witness/victim
18 USC 1513 -- Retaliation against a witness/victim
18 USC 1510 -- Obstructing a criminal investigation, conflict of interest roles in
government
18 USC 1509 -- Impeding due exercise of rights by attempting to prevent, obstruct,
impede and Interfere with same

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May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
18 USC 1622 -- Subordination of perjury by procuring another to commit perjury
ADDRESSING POLICE MISCONDUCT
LAWS ENFORCED BY THE UNITED STATES DEPARTMENT OF JUSTICE
The vast majority of the law enforcement officers in this country perform their very difficult jobs
with respect for their communities and in compliance with the law. Even so, there are incidents in
which this is not the case. This document outlines the laws enforced by the United States
Department of Justice (DOJ) that address police misconduct and explains how you can file a
complaint with DOJ if you believe that your rights have been violated.
Federal laws that address police misconduct include both criminal and civil statutes. These laws
cover the actions of State, county, and local officers, including those who work in prisons and jails.
In addition, several laws also apply to Federal law enforcement officers. The laws protect all
persons in the United States (citizens and non-citizens).
Each law DOJ enforces is briefly discussed below. In DOJ investigations, whether criminal or civil,
the person whose rights have been reportedly violated is referred to as a victim and often is an
important witness. DOJ generally will inform the victim of the results of the investigation, but we
do not act as the victim's lawyer and cannot give legal advice as a private attorney could. The
various offices within DOJ that are responsible for enforcing the laws discussed in this document
coordinate their investigation and enforcement efforts where appropriate. For example, a complaint
received by one office may be referred to another if necessary to address the allegations. In
addition, more than one office may investigate the same complaint if the allegations raise issues
covered by more than one statute.
What is the difference between criminal and civil cases?
Criminal and civil laws are different. Criminal cases usually are investigated and handled separately
from civil cases, even if they concern the same incident. In a criminal case, DOJ brings a case
against the accused person; in a civil case, DOJ brings the case (either through litigation or an
administrative investigation) against a governmental authority or law enforcement agency. In a
criminal case, the evidence must establish proof "beyond a reasonable doubt," while in civil cases
the proof need only satisfy the lower standard of a "preponderance of the evidence." Finally, in
criminal cases, DOJ seeks to punish a wrongdoer for past misconduct through imprisonment or
other sanction. In civil cases, DOJ seeks to correct a law enforcement agency's policies and
practices that fostered the misconduct and, where appropriate, may require individual relief for the
victim(s).

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Page: 5

May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
Federal Criminal Enforcement
It is a crime for one or more persons acting under color of law willfully to deprive or conspire to
deprive another person of any right protected by the Constitution or laws of the United States. (18
U.S.C. 241, 242). "Color of law" simply means that the person doing the act is using power
given to him or her by a governmental agency (local, State, or Federal). A law enforcement officer
acts "under color of law" even if he or she is exceeding his or her rightful power. The types of law
enforcement misconduct covered by these laws include excessive force, sexual assault, intentional
false arrests, or the intentional fabrication of evidence resulting in a loss of liberty to another.
Enforcement of these provisions does not require that
any racial, religious, or other discriminatory motive existed. What remedies are available under
these laws?
Violations of these laws are punishable by fine and/or imprisonment. There is no private right of
action under these statutes; in other words, these are not the legal provisions under which you
would file a lawsuit on your own.
Federal Civil Enforcement
"Police Misconduct Provision"
This law makes it unlawful for State or local law enforcement officers to engage in a pattern or
practice of conduct that deprives persons of rights protected by the Constitution or laws of the
United States. (42 U.S.C.
14141). The types of conduct covered by this law can include, among other things, excessive force,
discriminatory harassment, false arrests, coercive sexual conduct, and unlawful stops, searches or
arrests. In order to be covered by this law, the misconduct must constitute a "pattern or practice"
it may not simply be an isolated incident. The DOJ must be able to show in court that the agency
has an unlawful policy or that the incidents constituted a pattern of unlawful conduct. However,
unlike the other civil laws discussed below, DOJ does not have to show that discrimination has
occurred in order to prove a pattern or practice of misconduct.
What remedies are available under this law?
The remedies available under this law do not provide for individual monetary relief for the victims
of the misconduct. Rather, they provide for injunctive relief, such as orders to end the misconduct
and changes in the agency's policies and procedures that resulted in or allowed the misconduct.
There is no private right of action under this law; only DOJ may file suit for violations of the Police
Misconduct Provision.
Title VI of the Civil Rights Act of 1964 and the "OJP Program Statute"
Together, these laws prohibit discrimination on the basis of race, color, national origin, sex, and
religion by State and local law enforcement agencies that receive financial assistance from the
Department of Justice. (42 U.S.C. 2000d, et seq. and 42 U.S.C. 3789d(c)). Currently, most
persons are served by a law enforcement agency that receives DOJ funds. These laws prohibit both
individual instances and patterns or practices of discriminatory misconduct, i.e., treating a person

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Page: 6

May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
differently because of race, color, national origin, sex, or religion. The misconduct covered by Title
VI and the OJP (Office of Justice Programs) Program Statute includes, for example, harassment or
use of racial slurs, unjustified arrests, discriminatory traffic stops, coercive sexual conduct,
retaliation for filing a complaint with DOJ or participating in the investigation, use of excessive
force, or refusal by the agency to respond to complaints alleging discriminatory treatment by its
officers.
What remedies are available under these laws?
DOJ may seek changes in the policies and procedures of the agency to remedy violations of these
laws and, if appropriate, also seek individual remedial relief for the victim(s). Individuals also have
a private right of action under Title VI and under the OJP Program Statute; in other words, you
may file a lawsuit yourself under these laws. However, you must first exhaust your administrative
remedies by filing a complaint with DOJ if you wish to file in Federal Court under the OJP Program
Statute.
Title II of the Americans with Disabilities Act of 1990
and Section 504 of the Rehabilitation Act of 1973
The Americans with Disabilities Act (ADA) and Section 504 prohibit discrimination against
individuals with disabilities on the basis of disability. (42 U.S.C. 12131, et seq. and 29 U.S.C.
794). These laws protect all people with disabilities in the United States. An individual is considered
to have a "disability" if he or she has a physical or mental impairment that substantially limits one
or more major life activities, has a record of such an impairment, or is regarded as having such an
impairment. The ADA prohibits discrimination on the basis of disability in all State and local
government programs, services, and activities regardless of whether they receive DOJ financial
assistance; it also protects people who are discriminated against because of their association with a
person with a disability. Section 504 prohibits discrimination by State and local law enforcement
agencies that receive financial assistance from DOJ. Section 504 also prohibits discrimination in
programs and activities conducted by Federal agencies, including law enforcement agencies. These
laws prohibit discriminatory treatment, including misconduct, on the basis of disability in virtually
all law enforcement services and activities. These activities include, among others, interrogating
witnesses, providing emergency services, enforcing laws, addressing citizen complaints, and
arresting, booking, and holding suspects. These laws also prohibit retaliation for filing a complaint
with DOJ or participating in the investigation.
What remedies are available under these laws?
If appropriate, DOJ may seek individual relief for the victim(s), in addition to changes in
the policies and procedures of the law enforcement agency. Individuals have a private
right of action under both the ADA and Section 504; you may file a private lawsuit for
violations of these statutes. There is no requirement that you exhaust your
administrative remedies by filing a complaint with DOJ first.

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May 18, 2016

Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
I, Stanley J. Caterbone, Targeted Individual or TI, residing at: 1250 Fremont Street,
Lancaster, Pennsylvania, 17603, do hereby state that I am at least 18 years of age, that I am a
citizen or a legal resident of the United States of America, that I am of sound mind, and that I am
the person whose signature follows on this Affidavit. The purpose of this document is (1) to advise
Congress as well as state and local officials of organized stalking and electronic and mind
manipulation torture being committed against me and (2) to request a state, local, or
Congressional investigation and hearing on the use of remotely-operated directed energy attacks
and mind control technologies on Americans in this country.
Our Government is responsible for protecting its citizens from elements that
covertly harass, torment, murder, and cause victims to commit suicide through
organized stalking and remote electronic torture. Yet, unbiased research indicates that
certain elements of Government either engage in these activities or protect those who perform
them. I seek the complete dismantling of any officially-sanctioned covert Government torture
programs, the passage of legislation specifically outlawing that high-tech torture, and the full
prosecution of any person, regardless of his rank or position, who has violated my civil rights and
my most basic human rights. The assaults on my mind and body have been occurring for 24
year(s) and include, but are not limited to the following victimization's:

1.Blanketing my dwelling and surroundings with electromagnetic energy.

Bombarding
my body with debilitating electronic and mind manipulation effects. Directed Energy
Weapons Causing Severe Pain to Body and Brain. Began in at least 2005 and still continuing,
with complaints to Freedom From Covert Harassment and Surveillance, FFCHS in 2009, and in cited
in various state and federal court cases over the past several years.
Attacks causing severe
artificial pain most likely from Directed Energy Devices synchronized with telepathic harassment
and organized stalking and harassment have been logged and reported to law enforcement and
medical professionals since 2008.
Prior to 2008 the attacks were experienced and reported to
medical professionals but the sources were not known. Also reported attacks of pain to a family
physician, emergency room personnel and psychiatrists.

2.Invading my thoughts via remote sensing technologies. Was sent an autonomous email in
1998 introducing the term remote viewing. Various technologies and tactics are being used to
create emotional signatures that induce various emotional states; a systematic complete hacking
of my mind.

3.Making me mentally hear others' voices through the microwave hearing effect.
Synthetic and/or Mental Telepathy. First started to experience telepathy/synthetic telepathy in
2005 with full-time 24/7 connection during the same time to present. When full-time telepathy
started a male conducted interrogations lasting several hours at a time concerning a wealth of
subjects including ISC/CIA Knowledge. Cannot disconnect from continuous conversations at all
times with one female person. The handlers know everything I know and experience in real time.
During 2006 and 2007 have been telepathic with some 10 or more persons, both male and female
for short durations. Can recall most conversations and subject matter with identities of who they
said they were. Interrogation type harassment is still being used telepathically to harass and for
some sleep deprivation. Made first complaints to DARPA, the FBI, and U.S. Senator Arlen Specter
in 2007. Some conversations by the persons that are telepathic with me elude to some program
similar to the DARPA datalog program where they record your entire life. Everything that you try

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to do on a daily basis is subject matter for conversation and harassment. Interference with
thought, harassment, and interrogation is used often times with electromagnetic weapon attacks to
the brain or body.

4.Depriving me of sleep due to neurological intervention. Mostly Experienced Sleep


Deprivation Techniques during periods of time in 2008 to 2010. Mostly with attacks of pain from
Directed Energy Weapons to back, neck, head (brain); and heart on a few occasions; and with
harassment from telepathy.

5.Introducing poisonous gas and radiation toxins into my home.

First experienced toxic


gases (Chloroform?) in heavy doses in 2006-2007. Made complaints to the Lancaster City Police
Department and the Southern Regional Police. Experienced attacks that would cause dizziness at
home, in automobile and in public. Was informed it was being released through a distribution
system the size of fishing line. To counter attacks used cotton in nostrils and gas mask. In 2009
experienced attacks of what is said to be sleeping gas, when attacked could not open eyes. Took
Pictures during some attacks.

6.Having me stalked en masse on foot and in vehicles. vandalizing my home and/or car.
Gang Stalking or Organized Stalking began in 1987 and continues today. It includes strangers
using gestures such as finger under eye; various forms of harassment; and public mobbing.
Complaints have been filed in 1987; 1992;1998 and 2005 to 2010. Complaints were made to
various public officials and local, state, and federal agencies as mental duress. The terms
organized stalking, gang stalking, targeted individual, etc., was not learned until a few years ago.
The organized stalking and harassment followed in several states, some while traveling from
Lancaster, Pennsylvania to California. Tracking technologies may have been used and most likely
are still being used. Police were involved in most places.

7.Tapping (Bugging) my phones. Complaints of phone tapping/tampering were made to New


Jersey Bell in 1987 with a service call to Stone Harbor, New Jersey to check lines and phones. The
same was done by a Bell Atlantic repairman in Conestoga, Pennsylvania in 1998. In 2004 a
complaint with a report number was filed with the Pennsylvania Attorney General Office in
Pittsburgh, Pennsylvania (Agent Amy Zelnick) regarding interference with phone calls and
impersonations by perps intercepting and rerouting calls. Computer Hacking complaints were filed
to local authorities in the County of Lancaster and the Cyber Crime unit of the Federal Bureau of
Investigation in 2005 to 2010.

8.Blacklisting me in the labor market. Filed complains of employment discrimination with the
Pennsylvania Attorney General in 2006 and the Lancaster County Human Relations Commission in
2008.

9.Workplace mobbing. Experienced in 1987 at Financial Management Group, Ltd., American Helix
of High Industries in 1991 and Pflumm Contractors, Inc., in 1997/1998. Filed complaints and logs
as mental duress and harassment. Was forced out of all 3 organizations as a result of the mobbing
and harassment.

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10.Public Mobbing. Public type mobbing and organized stalking and harassment was perpetrated
heavily in the years 2005 to 2010 in the following places: The Lancaster County Courthouse, The
Lancaster County Public Library, the Pennsylvania Career Link, and the Millersville University
Library and University Offices. I was given suspicious and illegal No Trespass Notices in some 18
public places in Lancaster County in the years 2005 to 2009 without just cause. I was complaining
of stalking and harassing in most all of those public places. The Lancaster County Public Library
and the Millersville University took away my access to a computer after my personal computers
were vandalized and/or hacked inoperable. Fulton Bank took away my safe deposit box. Others
included my church of worship, various bars and restaurants and one attorneys office. Complaints
have been filed regarding the same in courts and with various authorities.

11.Attempted Murder. Experienced with an attempt of vehicular homicide in 1991 after National
News Media reported ISC/CIA-NSA connection of Arms to Irag. The incident involved a vehicle
changing lanes and direction and heading directly toward me in the wrong direction running me off
the road, narrowly missing a tree. I Filed the incident in federal courts and used as a motion to
seal federal case no. 05-2288 in 2005 in the United States District Court for the Eastern District of
Pennsylvania.

12.Pet Killing. Cat was killed in 2005 with complaints to the Lancaster County Humane Shelter
and the Southern Regional Police Department.

13.Illegal Entries of Home/Properties. First in 1987 in Stone Harbor, New Jersey, then again in
1991; 1997-1998; and most serious in 2005 to 2010. Filed Police Reports and insurance claims,
most with the Southern Regional Police Department of Conestoga, Pennsylvania , State Farm and
Harleysville Insurance Companies.

14.Illegal Repossessions. Airplane in 1987 containing legal and business files. Home/Property
and Contents in 2006 also containing legal and business files and documents.

15.Physical Assaults. One attack and filed complaint with police report in Los Osos California in
2005 and one in the City of Lancaster. Police reports were filed and obtained for both.

16.False Arrests. Experienced 7 in 1987 and more than 20 in 2005 and 2006 in the
Commonwealth of Pennsylvania Lancaster County Court of Common Pleas. The false arrests were
charges that were all dismissed prior to court hearings.

17.False Imprisonments. Spent 7 to 10 days in Lancaster County Prison in 1987 with all charges
dismissed and again for some 60 days in 2006 with all charges dismissed. The 60 Days of
imprisonment of 2006 was triggered with a false report of missing a bail supervision meeting,
which was confirmed to be false in court; however bail was maliciously and purposefully reinstated
as secured instead of unsecured. The appropriate appeal was filed which secured my release after
some 60 days of false imprisonment. There were no charges that resulted in any convictions.

18.Psychiatric Abuses with False Suicide Allegations from Perpetrators/Stalkers. One in


1987 resulting in a forced hospitalization for several hours by police in Stone Harbor, New Jersey.
And one again in February of 2005 resulting in police restraining me in my home and abusing me.
This one was a fraudulent and phony email sent to police by a perp. The Southern Regional Police
had to vacate after the email was proven to be a fraud.

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19.Vandalism to Property. First in 1987 in Stone Harbor, New Jersey, then again in 1991; 19971998; and most serious in 2005 to 2010. Filed Police Reports and insurance claims, most with the
Southern Regional Police Department of Conestoga, Pennsylvania and Harleysville Insurance
Company. 3 computers have been rendered inoperable since 2005 along with various electronics
equipment; dvd recorders; printers; household items; appliances; etc., Most insurance claims
have been paid. In the past years a wave of purchased items, online and in stores, were received
broken or the wrong item and all had to be returned. Some included items to secure my property,
and others included computer related items, others were household and clothing items.

20.Gas Lighting. The illegal entering of home and causing psychological duress by moving items
and or hiding items. First reported in 1998 to the Conestoga Police and continued to present.
Clothing was also manipulated and altered. The term gas lighting was only learned in 2010,
although it was reported to police as harassment by neighbors of friends. The daily draining of my
hot tub was also used as a psychological warfare tactic and used to run up utility bills. Numerous
complaints were made to police in 2008 to 2010.

21.Thefts of Property. Not Yet Completed.


22.Vandalism to Car/Truck.

Since 2005 have experienced years of gas siphoning, battery


outages, letting air out of tires, and wetting of inside of floor mats as psychological warfare tactics
by perps and stalkers. Made numerous complaints the Lancaster City Police Department.

23.Toxic Chemical Causing Running Nose. Experienced on regular basis in 2009 when in public
places. Was not in conjunction with cold/flu symptoms.
organized stalking.

Research states it is a tactic used in

24.Computer Hacking. Computer Hacking complaints were filed to local authorities in the County
of Lancaster and the Cyber Crime unit of the Federal Bureau of Investigation in 2005 to 2010.
Numerous complaint numbers have been secured. Complaints of cell phone hacking was also
reported in 2010. Websites and blogs were regularly hacked and sometimes taken off-line.
Electronic calenders, court documents, and financial records were often hacked causing many
problems of the years, including having to withdraw civil complaints.

25.Cyber Stalking. Most in 2005 to 2010. Complaints to Microsoft legal counsel, Yahoo Message
Board, and the FBI Cyber Crime Unit.

26.Interference/Delay/Theft of U.S. Mails. First reported to U.S. Postmaster of mail tampering


and illegal changing of address in 1987. In 2008 to 2009 have made several more complaints to
the U.S. Postmaster Inspector General who claim to have begun investigations. Some caused
missed court hearings and other missed appointments and or meetings.

27.Electromagnetic Weapons Causing Severe Muscle Spasms/Cramps. First experienced in


2006 to present. One experience in 2006 was while I was in my hot tub and the pain and cramp
was so severe in my left calf muscle (you automatically bend over to rub it out, which placed my
head underwater) I had to crawl out of the hot tub before almost drowning.

28.Electromagnetic Weapons Causing Sexual Stimulation. First experienced in 2005.


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29.Forced Hospitalizations. Forced Hospitalizations in 1987 (2) one for 6 hours and one for 5
days; 2006 one for 3 days; 2009 one for several hours while in intensive care for emergency
surgery; and 2010 one for 8 days. Filed complaints to Citizens Commission for Human Rights in
1991 and 2008.

30.Manipulation and Theft of Documents. Numerous thefts and manipulation of all legal and
business documents both in paper and in electronic format have occurred since 1987.
Microfiche/Microfilming began in 1987 and other measures to secure documents have been ongoing
to present. Numerous complaints have been filed with law enforcement since 1987.
Statement: I have been a Targeted Individual, TI, and Victim since 1987. In 1987 I blew the
whistle (public Allegations and Complaints to State and Federal Authorities of Fraud during merger
negotiations with British Defense Contractor Ferranti International) on an international defense
contractor named International Signal & Control, or ISC, who was selling arms (Everything from
Telemetry Systems to Cluster Bombs) to Iraq via South Africa and was convicted of a $1 Billion
dollar Fraud in 1992 by the United States Attorney and several other federal agencies. See
ABC/News 20/20 and Nightline in 1991. They were founded and headquartered in my hometown of
Lancaster, Pennsylvania. I was a shareholder and was solicited by a top ISC Executives (Convicted
as a Mastermind of the Billion Dollar Fraud) to help finance some of their operations through an
affiliate called United Chem Con.
ISC was a Department of Defense (DOD) Contractor and a partner with United States
Intelligence Agencies since it's beginnings in the early 1970's. One of it's first contracts was
Project X with the National Security Agency or NSA of Ft. Meade, Maryland. Former Secretary of
the Navy, Bobby Ray Inman was on the Board of Directors of ISC and was also on the Board of
Directors of Science Applications International Corporation, or SAIC. SAIC was a huge defense
contractor that was the recipient of the Defense Intelligence Agency, or DIA, program on Remote
Viewing, which SAIC named Project Stargate. It was reported that Bobby Ray Inman declined the
nomination for Secretary of Defense under the first Clinton Administration because of the ISC and
Trecor scandals. In the early 1990's I was a subcontractor on a project for the Defense Advanced
Research Project Agency, or DARPA, with the National Institute of Standards and Technology, or
NIST called TIMIT. The project developed speech corpora for the development of computer based
speech recognition systems. I was also involved in the bidding of other Department of Defense
contracts dealing with information technologies. In 1998 I was stalked and approached by an
employee of the National Security Agency, or NSA in York, Pennsylvania who said my problems
were not with the NSA, but the good ole boys. In 2005 I was detained by 2 Defense Intelligence
Agency, or DIA officers in a museum on a military base in Austin, Texas and was questioned and
interviewed regarding my civil actions filed in federal court for several hours. I was released and
told to stay off of all military bases. My brother, a Family Physician in Austin Texas had to verify
my travel plans and the fact that I was staying with him prior to my release.
My father alleged he was part of U.S. Navy experiments in the 1940's and experienced
synthetic telepathy in the 1970's, 1980's and 1990's as outlined in memos and documents he had
authored; and from my personal conversations with him prior to his death. Ms. Amy Fuchs of the
Disclosure Project confirmed that he was most likely given an ET experience via synthetic
telepathy. He died in 2001 in New York City of cancer. My brother was in the U.S. Air Force in the
late 1960's and I allege was a victim of the LSD experiments relating to MKULTRA in the late

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1960's and a victim of murder (Suspicious Suicide with tainted medical reports) in Santa Barbara
California in 1984; Notarized Complaints were filed to the California Attorney General in 1991. He
made a declaration type statement prior to his death that he got bad LSD while in the U.S. Air
Force.
Organized stalking and harassment began in 1987 following the public allegations of fraud
within ISC. As far back as the late 1980's I thought that my mind was being read, or "remotely
viewed". During the times that legal Counsel and attorneys were solicited in 1987, 1991, and 1997
Organized Stalking and Harassment and other forms of attacks experienced by Targeted
Individuals were severely increased. In 2005 the U.S. sponsored mind control turned into an allout assault of mental telepathy; synthetic telepathy; and pain and torture through the use of
directed energy devices and/or electromagnetic weapons. This assault was no coincidence in that
it began simultaneously with the filing of the federal action in U.S. District Court, of CATERBONE v.
Lancaster County Prison, et. al., or 05-cv-2288.
In 2015 Stan J. Caterbone and Advanced Media Group had to again return to local,
state, and federal courts. Again the obstruction of due process, the local gang stalking, torture,
trespass, thefts, and the like began in earnest. From the fabricated Petition for Involuntary
Psychiatric Commitment of April 2010 by Detective Clark Bearinger, until January of 2015, Stan J.
Caterbone and Advanced Media Group had been in seclusion and in a state of rehabilitation and
rest due to the forced medication by Fairmount Behavioral Hospital and Dr. Silvia Gratz. The
psychotropic drugs reduce your motor skills and put you in an extreme state of confusion. By the
end
of
the
summer
of
2010
every
social
media
site,
including
the
www.amgglobalentertainmentgroup.com website was taken off-line due to the intimidation and
coercion by Detective Clark Bearinger.
In May Stan J. Caterbone had again endured the Attacks and Torture from the
employees of the Lancaster County Courthouse, and the Lancaster County Government Building.
Then soon after the Residents of Lancaster County engaged in a massive Organized Stalking
Campaign. In addition an extreme Computer Hacking Campaign was initiated and executed in
an effort to again SILENCE Stan J. Caterbone and Advanced Media Group. And Again, the
Lancaster City Police Department took the lead role. As usual Stan J. Caterbone summoned state
and federal authorities for help and assistance, including direct communications with the White
House, the Federal Bureau of Investigation, the Pennsylvania Attorney General's Office and
Kathleen Kane, The Pennsylvania State Police, the Pennsylvania General Assembly, several U.S.
Congressmen, and of course the Lancaster County District Attorney's Office. Since August 1, 2015
the Geek Squad had performed diagnostics and repairs six (6) times due to computer hacking. On
at least 2 occasions the entire hard drive had to be wiped clean and restored.
On June 23, 2015 Stan J. Caterbone was named MOVANT in the 2014 Habeus
Corpus Petition by Lisa Michelle Lambert, Case No. 14:02559 in the U.S. District Court for
the Eastern District of Pennsylvania after filing an Amicus on the case. Judge Paul
Diamond was presiding since it's filing in 2014. However, the Petition was not able to be
granted and the case was stalled on jurisdictional law based on new and compelling
evidence, or lack there of. The Amicus was filed to cure that deficiency with direct
witness corroboration to the Prosecutorial Misconduct and Innocence of Lisa Michelle
Lambert. In fact a working theory was filed that suggested that the East Lampeter
Police Department engaged in a strategy of Entrapment that lead to the unfortunate
murder in 1991. This, would of course, allow a wrongful death claim to be filed by the
Show family. The case is now before the Third Circuit Court of Appeals, Case No. 153400. There are three (3) questions that the Third Circuit may rule on; whether to free

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Lisa Michelle Lambert, or grant her her Habeus Corpus, and whether to grant Summary
Judgment to Stan J. Caterbone in all civil actions in both state and federal courts.
Two weeks later, on July 9, 2015, Detective Clark Bearinger filed another fabricated Petition
for Involuntary Psychiatric Commitment. And again Stan J. Caterbone endured 7 days in the
Fairmount Behavioral Hospital in Philadelphia. However, this time there was no MANDATORY
Treatment Program Ordered by the Lancaster County Court of Common Pleas. So Stan J.
Caterbone continued filing in the courts for assistance and resolution. In August, in a desperate
attempt to stop the local torture campaign, another Emergency Injunction was filed in the
Lancaster County Court of Common Pleas. On August 6, 2015 Stan J. Caterbone went so far as to
undertake a Professional Polygraph Test administered by Bonnie Lee of Polygraph Solutions of West
Chester, Pennsylvania. The test ended up being 4 grueling hours of torture and a scam of
$600.00.
On July 9th , 2015 a Private Criminal Complaint was filed against Detective Clark Bearinger,
Officer Williams, Officer Binderup, and 2 unidentified patrolman.
The Complaint contained
allegations of torture and abuse at every moment of contact.
The Lancaster City Police
Department were so desperate for retaliation from the Amicus filing in the Lisa Michelle Lambert
case, that they actually broke the door in of 1250 Fremont Street in order to execute the fabricated
302 petition. The Complaint was denied by the Lancaster County District Attorney on August 8 th .
The Complaint is now under a Petition for Review by the Lancaster County Court of Common Pleas.
On August 17, 2015 another Emergency Injunction for Relief was filed in the Lancaster
County Court of Common Pleas, Case No. 15-06985. The Injunction was heard by Judge Jeffrey
Wright, who dismissed it as frivolous. An appeal, MD 1561, is pending in the Superior Court of
Pennsylvania.
In addition, by September 26, 2015 Stan J. Caterbone had been granted Electronic Filing
Privileges in the local, state, and federal courts. This should alleviate the fraud and abuses of the
U.S. Postal Service and the computer hackers.
In 2015 Stan J. Caterbone identifies a trend that suggests that the Lancaster County
community-at-large was subject to either community targeting or community hypnosis. The
community targeting theory is supported by experts Jullianne McKinney, Cheryl Welsh, and Dr.
John Hall. The community hypnosis theory is supported by direct personal relationships with the
Amazing Kreskin, Samuel P. Caterbone and Stan J. Caterbone.
In September of 2015 Stan J. Caterbone begins to digitize a library of approximately 45
audio cassette tapes from his father, Samuel P. Caterbone. The tapes range in date from 1971 to
1996. The tapes prove an identical targeting campaign against both Samuel P. Caterbone and
Stan J. Caterbone. In addition the tapes confirm that Steven P. Caterbone, brother of Stan J.
Caterbone, was most likely a target dating back to the early 1960's. In addition, the death of
Samuel P. Caterbone on July 20, 2001 was confirmed to be that of murder, not natural causes.
In the early 1990's Dr. Phillip Caterbone, brother, had been solicited by the National
Institute of Health, or NIH in Washington, D.C., for a fellowship to research and catalog a study to
find a genetic marker for depression in the CATERBONE family. Phil interviewed all living
descendants and relatives of my father, Samuel P. Caterbone, Jr., and took blood samples. I am
alleging that this was a deliberate act to continue the cover story of mental illness to distract and
provide plausible deniability for any linkage to U.S. Sponsored Mind Control. This targeting has
ruined every aspect of my life.

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Some Perspectives
The calculated and technological entry into another persons mind is an act of monumental barbarism which obliterates perhaps with the twiddling of a dial the history
and civilization of mans mental development. It is more than an abuse of human rights,
it is the destruction of meaning. For anyone who is forced into the hell of living with an
unseen mental rapist, the effort to stay sane is beyond the scope of tolerable endurance.
The imaginative capacity of the ordinary mind cannot encompass the horror of it. We
have attempted to come to terms with the experiments of the Nazis in concentration
camps. We now have the prospect of systematic control authorized by men who issue instructions through satellite communications for the destruction of societies while they
are driving new Jaguars and Mercedes, and going to the opera. FROM On the Need for
New Criteria of Diagnosis of Psychosis in the Light of Mind Invasive Technology"by Carole Smith
Global Research, October 18, 2007; Journal of Psycho-Social Studies, 2003. People have
no comprehension of how lethal only one aspect (aside from the obvious of driving the victim completely insane) of telepathy technology can be in disrupting and ruining an individual's life through
the sabotaging of his/her daily activities. Everything an individual does begins with a momentary
thought. From the split second that thought is learned by the person on the other end (telepathi cally) - the individual's right to privacy is not the real threat or loss. The real lethal weapon is the
advantage in disrupting or preventing the individual from accomplishing whatever he/she is going
to do before they actually do it. With a simple cell phone call or instant message, the Advanced
Team is in place to subvert; sabotage; manipulate; propagandize; smear; disrupt; or even prevent the task or activity from being accomplished in any successful manner. The perps are skilled
at creating scenarios that are covertly arranged to simulate everyday occurrences to make the victim at fault for the loss or failure. Imagine the consequences when these activities have legal and
financial implications. With telepathy technology the need for tracking and surveillance technology
is greatly diminished and may even become obsolete. This is not merely Mind Invasive Technology, as Carole Smith so eloquently wrote this is LIFE Invasive Technology. Say Goodbye to
any true sense of capitalism and free enterprise in the not to distant future unless of course
someone stops these illegal and disastrous technology transfers and leaks.
Stan J. Caterbone
Organized or Gang Stalking
A system of organized psychological terror tactics used against a person who has become an enemy of an individual or a government. Subtle but effective techniques of stalking by multiple individuals and psychological intimidation and manipulation are used to slowly but surely drive the target to make complaints to authorities who will see the complaints as bogus because of the methods
used against the target. As a result, the target gets labeled as mentally ill.
There are as many stalking tactics as there are targets as the multistalkers will tailor the stalking
to the individuals habits and individual personality. Some common examples or organized stalking
are: following the target on foot, by car and public transportation, crowding the target's space in a
public place, murmuring insults under the breath so only the target can hear, sitting in the car out side the target's residence, starting "fights" in public with the target, doing "skits" on the street
which involves information only the target should know but has been found out via surveillance of
the target, stealing and vandalism of the target's possessions.

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United States Department of Justice Civil Rights Complaint, January 19, 2016

Organized Stalking Website


Organized Stalking is a form of terrorism used against an individual in a malicious attempt to reduce the quality of a persons life so they will: have a nervous breakdown, become incarcerated, institutionalized, experience constant mental, emotional, or
physical pain, become homeless, and/or commit suicide. This is done using well-orchestrated accusations, lies, rumors, bogus investigations, setups, framings, intimidation,
overt or covert threats, vandalism, thefts, sabotage, torture, humiliation, emotional terror and general harassment. It is a ganging up by members of the community who follow an organizer and participate in a systematic terrorizing of an individual. Mark M.
Rich
My contact information is listed above.
January 19, 2016
/S/
Stan J. Caterbone, Pro Se Litigant
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

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United States Department of Justice Civil Rights Complaint, January 19, 2016

Criminal Section
Overview
HISTORY
One of the oldest of the Civil Rights Division's units, the Criminal Section enforces laws that date to
the post Civil War Reconstruction Era. Originally a part of the Criminal Division, the Criminal
Section and its enforcement authority was moved to the Civil Rights Division when the CRD was
created in 1957. In the early years, the Division was organized geographically. Eventually, as more
civil rights laws were passed, the Division reorganized into functional subject areas. The Criminal
Section is unique within the Division, prosecuting criminal cases while the remainder of the Division
handles civil matters.
Some of the Criminal Section's earliest prosecutions involved the murder of minorities and civil
rights workers in the South during the 1960's prior to desegregation. In 1968 Congress broadened
the scope of protection afforded by civil rights statutes by passing a law that made it a crime to
interfere by force or threat of force with certain rights (such as employment, housing, use of public
facilities, etc.) because of someone's race, religion, color or national origin. Those protections were
increased even further twenty years later when Congress enacted a law (amended in 1996) making
violent conduct against religious property and those exercising their religious beliefs a federal
crime. Congress also made it a federal crime in 1994 to use violence to interfere with providers of
reproductive health care. The cases handled by the Section have always been of great interest to
the public and have sometimes become the subject of films, documentaries, books, and television
programs.
Some of the historically significant events in which the Criminal Section has been directly involved
include investigations of the assassinations of Martin Luther King, Jr. and Medgar Evers, the fatal
shootings by the National Guard at Kent State University, the deaths of three civil rights workers
(Chaney, Goodman, and Schwerner) in Mississippi, and the police beating of Rodney King in Los
Angeles.
MISSION
The Criminal Section prosecutes cases involving the violent interference with liberties and rights
defined in the Constitution or federal law. The rights of both citizens and non-citizens are
protected. In general, it is the use of force, threats, or intimidation that characterize a federal
criminal violation of an individual's civil rights. Our cases often involve incidents that are invariably
of intense public interest. While some violations may most appropriately be pursued by the federal
Government, others can be addressed by either the federal Government or by state or local
prosecutors. Our ultimate goal is to ensure that acts constituting federal criminal civil rights
violations are sufficiently remedied, whether prosecuted federally or by local authorities.
The types of acts that may involve violations of federal criminal civil rights laws are:
HATE CRIMES (18 U.S.C. 241, 18 U.S.C. 245 and 42 U.S.C. 3631) -- Violent and
intimidating acts of racial, ethnic and religious hatred that interfere with federally protected rights,
such as housing, employment, voting, and public services.
OFFICIAL MISCONDUCT (18 U.S.C. 241, 18 U.S.C. 242) -- Intentional acts by law
enforcement officials who misuse their positions to unlawfully deprive individuals of constitutional
rights, such as the right to be free from unwarranted assaults, illegal arrests and searches, and
theft of property.
HUMAN TRAFFICKING (18 U.S.C. 1581-1594) Use of force or threats of force or other forms of
coercion to compel labor or services, including commercial sex acts, from victims. Modern day
slavery can involve migrant farm laborers, sweat shop workers, domestic servants, and brothel
workers. Victims may be U.S. citizens or aliens, or adults or children.

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Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
INTERFERENCE WITH ACCESS TO REPRODUCTIVE HEALTH CARE (18 U.S.C. 248) -Violence directed at abortion clinics or health care providers, such as doctors or nurses.
INTERFERENCE WITH THE EXERCISE OF RELIGIOUS BELIEFS and DESTRUCTION OF
RELIGIOUS PROPERTY (18 U.S.C. 247) -- Violent conduct targeting religious houses of
worship, usually involving the arson of churches or synagogues.
INTERFERENCE WITH THE RIGHT TO VOTE (18 U.S.C. 241, 18 U.S.C. 242, 18 U.S.C.
245, 18 U.S.C. 594 and 42 U.S.C. 1973gg-10(1)) -- Voter intimidation or voter suppression
schemes that target victims on the basis of race, color, national origin, or religion.
The punishment imposed by these statutes generally depends upon the injury suffered by the
victim. The more serious the injury, the more severe the penalty. In some cases, where the victim
had died as a result of the defendant's conduct, the death penalty applies.
WHAT WE DO
Every year the Criminal Section receives and reviews several thousand complaints from citizens,
law enforcement agencies, and organizations describing possible violations of the federal criminal
civil rights statutes. These complaints may be received directly by the Criminal Section in the form
of letters and phone calls or by referral from federal investigative agencies, such as FBI, OIG, BOP,
and the Dept. of Housing and Urban Development. The majority of complaints allege misconduct by
law enforcement officers such as state or local police officers, federal law enforcement officers,
prison superintendents, correctional officers, state and county judges, or other public officials.
There are five general stages in bringing potential criminal civil rights violations to prosecution. In
sequence, they are:

1. receipt of complaint
2. investigation
3. grand jury
4. indictment
5. trial
Each complaint received is analyzed to decide whether an investigation is appropriate.
If an investigation is recommended, the FBI (the primary investigative agency) conducts the
investigation by interviewing witnesses and collecting evidence and sends its report both to the
responsible attorney within the Section, as well as to the U.S. Attorney's office with responsibility
for federal prosecutions within the geographic area where the incident occurred. When the
investigation is completed, the prosecutors must then decide whether there is sufficient evidence to
prove a federal violation and legal authority to pursue the case in federal court. Evidence
considered may include statements from witnesses and victims, medical records, physical evidence,
and official records documenting the incident. [Note: the federal criminal civil rights laws have a
five year statute of limitations from the date of the incident, except in cases involving an
intentional killing (generally not bound by the statute of limitations) and religious interference
incidents (seven year statute of limitations)].
In order to prosecute a felony case where the defendant could face imprisonment of more than a
year, evidence must first be presented to a grand jury, which then votes on whether an indictment
should be returned. If an indictment is returned, the Criminal Section often prosecutes the case
jointly with the local U.S. Attorney in the federal District where the incident occurred. There are
times when the Section or the U.S. Attorney may decide to prosecute the case without direct
involvement by the other office. The Criminal Section also prosecutes juvenile offenders, who may
be involved in hate crimes such as cross burnings and vandalism of homes or churches.

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Date Filed: 01/19/2016

United States Department of Justice Civil Rights Complaint, January 19, 2016
In the areas of police misconduct, housing rights, and access to health care, the Criminal Section
may refer complaints that do not present a criminal violation to other Sections within the Civil
Rights Division that have authority under separate civil statutes to file suit when a pattern of abuse
is discovered.
While not all complaints received result in investigation, nor all investigations lead to a grand jury
or eventual prosecution, the Criminal Section seeks to review all possible violations to ensure that
individual liberties are protected. Often, local authorities will take the lead in prosecuting violent
conduct under state statutes even though such conduct also constitutes a violation of federal
criminal civil rights laws. In such cases, the local prosecutive effort is presumed to vindicate federal
interests.
Infrequently, however, even if there has been a local prosecution, it may be determined (often with
the support of the local authorities) that a subsequent federal prosecution is necessary to remedy
the criminal wrongdoing. The Supreme Court has upheld this "dual prosecution" policy as not
violating the Constitution's double jeopardy clause, since the federal Government is a separate
sovereign from the state, charging a crime under its unique authority, even though the case may
be based on the same incident.
In addition to prosecuting cases, the Criminal Section actively participates in providing technical
assistance and information to the public, law enforcement and other Government agencies
regarding the federal criminal civil rights laws by attending conferences, providing training, and
making recommendations for legislation to further the protection of individual rights and liberties.
WHO WE ARE
Prosecutors, paralegals, and other support staff work together in reviewing complaints and bringing
investigations to prosecution. Our attorneys come from diverse backgrounds, and many have prior
experience as litigators -- either as prosecutors or as public defenders -- at the federal, state, or
local level.
In addition, the Criminal Section works with numerous organizations, both within and outside the
Department of Justice, which provide additional investigative resources and substantive expertise
related to federal criminal civil rights violations and other related, potential federal crimes or civil
violations.

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Third
Judicial Council of the _________________
Circuit

COMPLAINT OF JUDICIAL MISCONDUCT OR DISABILITY


To begin the complaint process, complete this form and prepare the brief statement of facts
described in item 5 (below). The RULES FOR JUDICIAL-CONDUCT AND JUDICIAL-DISABILITY
PROCEEDINGS, adopted by the Judicial Conference of the United States, contain information on
what to include in a complaint (Rule 6), where to file a complaint (Rule 7), and other important
matters. The rules are available in federal court clerks offices, on individual federal courts
Web sites, and on www.uscourts.gov.
Your complaint (this form and the statement of facts) should be typewritten and must be legible.
For the number of copies to file, consult the local rules or clerks office of the court in which
your complaint is required to be filed. Enclose each copy of the complaint in an envelope
marked COMPLAINT OF MISCONDUCT or COMPLAINT OF DISABILITY and submit
it to the appropriate clerk of court. Do not put the name of any judge on the envelope.
1.

Stanley J. Caterbone, Pro Se

Name of Complainant:

1250 Fremont Street

Contact Address:

Lancaster, Pennsylvania 17603

( 717 )

Daytime telephone:
2.

FISHER, JORDAN and VANASKIE

Name(s) of Judge(s):

U.S. Third Circuit Court of Appeals

Court:
3.

669-2163

Does this complaint concern the behavior of the judge(s) in a particular lawsuit or
lawsuits?
[ X ] Yes
[ ] No
If yes, give the following information about each lawsuit:
Court:
Case Number:

U.S. THIRD CIRCUIT COURT OF APPEALS

15-3400; 16-1149

Docket number of any appeal to the

Circuit: ___________________

Are (were) you a party or lawyer in the lawsuit?


[ x ] Party

[ x ] Lawyer

Pro Se

] Neither

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If you are (were) a party and have (had) a lawyer, give the lawyers name, address, and
telephone number:
Same As Above

4.

Have you filed any lawsuits against the judge?


[

] Yes

[ X ] No

If yes, give the following information about each such lawsuit:


Court:
Case Number:
Present status of lawsuit:
Name, address, and telephone number of your lawyer for the lawsuit against the judge:

Court to which any appeal has been taken in the lawsuit against the judge:
Docket number of the appeal:
Present status of the appeal:
5.

Brief Statement of Facts. Attach a brief statement of the specific facts on which the
claim of judicial misconduct or disability is based. Include what happened, when and
where it happened, and any information that would help an investigator check the facts.
If the complaint alleges judicial disability, also include any additional facts that form the
basis of that allegation.

6.

Declaration and signature:

I declare under penalty of perjury that the statements made in this complaint are true and
correct to the best of my knowledge.

(Signature)__________________________________

(Date)__________________

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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

January 25, 2016


ACTIVE COURT CASES
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

BRIEF STATEMENT OF FACTS


THE JUDICIAL CONDUCT & DISABILITY
The following complaint alleges an act of Judicial Misconduct that violates Stanley J.
Caterbone's civil rights and fair access to the law as well as serves as a means of denying Lisa
Michelle Lambert's Habeus Corpus and denying Stanley J. Caterbone's Motion For Summary
Judgments in both federal and state courts as outlined in his MOTION FOR SUMMARY JUDGEMENT
in case no. 14-02259 as stated
In addition the MOVANT must be restored to whole by administering SUMMARY JUDGEMENTS in
cases 05-2288; 06-4650; and all other cases filed by the MOVANT in this court. SUMMARY
JUDGEMENTS must also be administered in Case No. 08-13373 in the Lancaster Court of Common
Pleas, and other cases filed by the MOVANT in that said court.

1. 15-3400, Third Circuit Court of Appeals, November 24, 2015 Stanley J. Caterbone
FILED a Motion for a 30 Day Extension of Time.
2. Order granted.
3. 15-3400, December 14, 2015 Stanley J. Caterbone FILED a LETTER to the Clerk
requesting to WITHDRAW appeal no. 15-3400 in the Third Circuit.
4. 15-3400, December 17, 2015 Stanley J. Caterbone FILED a LETTER to the Clerk
CLARIFYING the Withdraw as a MOTION to WITHDRAW WITHOUT PREJUDICE.

5. 15-3400, December 31, 2015 Stanley J. Caterbone FILED a LETTER to the COURT
RESCINDING his MOTION TO WITHDRAW.1

The Letter to Rescind was either hidden from FISHER, JORDAN and VANASKIE or FISHER, JORDAN and
VANASKIE ignored the Letter to Rescind. This would have preserved the entire Record of Case No. 153400 including EXHIBITS, MOTIONS, ETC.,.

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6. 15-3400, January 12, 2016 FISHER, JORDAN and VANASKIE, Circuit Judges, ISSUED
AN ORDER in Case No. 15-3400 MOTION TO WITHDRAW GRANTED.2
7. 15-3400, January 13, 2016 Stanley J. Caterbone FILED a MOTION TO REINSTATE the
Appeal in the Third Circuit.
8. 15-3400, January 15, 2016 (FISHER, JORDAN and VANASKIE, Circuit Judges ISSUED
AN ORDER DENIED MOTION TO REINSTATE the Appeal in the Third Circuit.
9. 15-3400, January 15, 2016 Stanley J. Caterbone FILED a MOTION TO RECUSE Third
Circuit Judge Michael Fisher for Conflict of Interest in the Lisa Michelle Lambert Case due to
a conflict of interest since Michael Fisher was acting Attorney General of Pennsylvania and
Superior to Christy Fawcett who PROSECUTED Lisa Michelle Lambert's PRCA Hearing before
Lancaster County Court of Common Pleas Judge Lawrence Stengel in 1998.
10. U.S District Court, 14-02559, January 17, 2015 in the United States District Court for
the Eastern District of Pennsylvania in Case No. 14-02559 Stanley J. Caterbone FILED a
NOTICE OF APPEAL.
11. U.S District Court, 14-02559, January 17, 2015 in the United States District Court for
the Eastern District of Pennsylvania in Case No. 14-02559 Clerk's Notice to USCA re 25
Notice of Appeal : (jpd, ) (Entered: 01/20/2016)
12.15-3400, January 12, 2016 FISHER, JORDAN and VANASKIE, Circuit Judges, ISSUED
AN ORDER in Case No. 15-3400 DISMISS MOTION TO RECUSE JUDGE FISHER as
moot due to ORDER GRANTING MOTION TO WITHDRAW.3
13. 16-1149, January 22, 2016 in the U.S. THIRD CIRCUIT Clerk Issues New Docket
No. 16-1149

Stan J. Caterbone, Pro Se Litigant


ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

2 This DELETED AND REMOVED FROM THE PUBLIC DOMAIN and from DELIBERATIONS the entire the Record
of Case No. 15-3400 including EXHIBITS, MOTIONS, ETC., which SUPPORTS AND PROVIDES EVIDENCE
FOR AFFIRMATION OF THE MOTION FOR SUMMARY JUDGEMENT in Case No. 14-02559 and a FAVORABLE
Ruling in the U.S. Third Circuit Court of Appeals for the Complainant, and Pro Se Appellant.
3 This ORDER was a Complete and Total Disregard to the Law and Highly prejudicial.

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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

December 15, 2015


To:

Newslanc.com
Open Letter to the Editor

Re: Old Boys Network and the Kathleen Kane Coup


Dear Newslanc,
The following is a letter to the editor which I wish to be published on your site.
I have been the victim of a widespread civil and criminal conspiracy that dates
back to 1987, made up of the very same actors that Kathleen Kane is up against, the
"good old boys". In 1987 I blew the whistle on a local company, International Signal
& Control, or ISC, that was indicted for selling arms and weapons to Iraq via South
Africa with the aid and support of the CIA and the NSA. It was the 3rd largest white
collar crime at that time, valued at $1 Billion Dollars. I was the victim of a
widespread wholesale cover-up through an elaborate slander campaign that included
29 false arrests, multiple false imprisonments, and a fabricated mental illness record
that to this day is still resonating.
Kathleen Kane must be commended for her courage and her determination for
taking on this culture of arrogance and total disregard for the U.S. Constitution and
the rule of law that they so emphatically espouse to uphold. They believe and
conduct their affairs in a manner that suggests they are above the law and we, the
Pennsylvania taxpayers, are beneath the law. The sad fact that it reaches into the
judiciary and law enforcement agencies is undeniably the most outrageous and
deplorable truth to this scandal. Case in point, until yesterday I was the APPELLANT
in a case before the U.S. Third Circuit Court of Appeals that involves the Habeus
Corpus for convicted and imprisoned Lisa Michelle Lambert. A murder case in the
early 1990's that was made famous when in 1997 U.S. District Judge Stewart Dalzell
found her actually innocent due to "one of the worst cases of prosecutorial
misconduct in the English speaking language" and released her from prison. The case
drew nationwide attention when then Pennsylvania Attorney General, then Mike
Fischer, enlisted the help of 9 other state attorney generals to curtail the reach of
the federal bench in state matters concerning Habeus Corpus cases. To make
matters worst, 38,000 Lancastrians signed petitions to remove the Honorable
Stewart Dalzell from the federal bench.

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Mike Fisher and company won and Lisa Michelle Lambert was back in prison
within 9 months while the case went back to the Lancaster County Court of Common
Pleas. The Honorable Judge Lawrence Stengel held a bench hearing where she was
again found guilty and sentenced to life in prison. The case was covered by the LA
Times in a multi-part Sunday series, A&E producer Bill Curtis did a 48 Hours special,
and Lifetime Movies made it into a prime time movie.
This year, these "Good Old Boys" made it so difficult for me to litigate my
efforts to free Lisa Michelle Lambert, that I had to dismiss my appeal and effectively
withdraw as her MOVANT and Advocate. I was trying to persuade the courts that my
own demise was the result of the same type of wholesale prosecutorial misconduct
by some of the very same principals that Lisa Michelle Lambert fell victim to. My
efforts were so distasteful to the powers to be that her court appointed attorney
threatened me with criminal prosecution for no other reason than I might actually be
successful in helping her win the Habeus Corpus she filed in May of 2014. I allege
the U.S. District Judge was trying in vain to invalidate and derail my own federal
court cases that seek to restore me to whole from a life of ruin, misery, torture, and
financial collapse.
For the record, I founded a financial firm in the 1980's that reached 5 states
and raised some 90 million dollars in a matter of 9 months. In the late 1980's and
early 1990's I was one of 5 domestic companies that had the capabilities of
manufacturing CDROM's that included a client list that reached across the globe and
included government agencies and fortune 500 companies. And in 1987, myself and
a genius recording engineer named Tony Bongiovi and his famous recording studio,
Power Station Studios of New York, were developing and producing the first "digital
movie". The intellectual property rights and the RICO statutes that apply to my legal
claims in federal courts were too much for the "Good Old Boys" to handle.
I think I'll sit this one out and watch Kathleen Kane advocate by proxy.

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163

November 12, 2015


Ms. Kathleen Kane
Pennsylvania Attorney General
16th Floor Strawberry Square
Harrisburg, Pennsylvania
Re: Old Boys Network filed in GENERAL OAG QUESTIONS November 11, 2015
November 11, 2015 7:42am
"Kane, the first woman and Democrat elected to the position of Pennsylvania's top
prosecutor, has dismissed the case as a backlash over her challenge to what she
calls the old-boys' network in Pennsylvania law enforcement." LNP, Attorney
General Kane faces trial on more charges, by the Associated Press on November 11,
2015.
Back in 1998 I had a meeting with an NSA (National Security Agency, Ft. Meade, Md)
operative in a parking lot of a former car dealer in York, PA. I had just attended a job
fair and he approached me as I was about to get into my car. He introduced himself
as being from the NSA and I questioned him about why they would not leave me
alone. His response was "It is not US (NSA) it's the Good Ole Boys". I also have
a huge problem with modified, stolen, and planted documents. We parted ways in an
amicable fashion.
Stan J. Caterbone Advanced Media Group
717-669-2163
www.amgglobalentertainmentgroup.com
See the enclosed as well as U.S.C.A. 15-3400 LISA MICHELLE LAMBERT APPEAL,
APPELLANT, Stanley J. Caterbone, Pro Se
https://www.scribd.com/doc/284639091/Federal-Whistleblower-and-TargetedIndividual-of-U-S-Sponsored-Mind-Control-Executive-Summary-Updated-October12-2015

Stan J. Caterbone

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Document: 003112153497

Page: 1

May 18, 2016

Date Filed: 12/14/2015

www.amgglobalentertainmentgroup.com
[email protected]
717-669-2163
Stanley J. Caterbone, APPELLANT, Pro Se
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
IN THE UNITED STATES THIRD CIRCUIT COURT OF APPEALS
_______________________________________________________________________________
Lisa Michelle Lambert
:
PETITIONER
:
:
v.
:
CASE NO. 3400-2015
:
Lynn Bissonnette, et al.,
:
RESPONDANT
:
:
Stanley J. Caterbone
:
APPELLANT
:

MOTION TO DISMISS
_______________________________________________________________________
I hereby on this 14th day of December, 2015, I Stanley J. Caterbone, appearing pro se, as
the APPELLANT do hereby file a Motion to Dismiss the above captioned appeal for reasons previously
affirmed in previous filings.

/S/ Stanley J. Caterbone


Date: December 14, 2015

Stanley J. Caterbone, Pro Se Appellant


1250 Fremont Street
Lancaster, PA 17603
(717)-669-2163
http://www.amgglobalentertainmentgroup.com/__

Newslanc
Complaint
Epic
Obstruction
Stan
Credit
J. Caterbone
Letter
ofCard
ofJudicial
Justice
to
Complaint
"Living"
theMisconduct
-AEditor
ALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

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Wednesday,
Tuesday,
Sunday,
December
February
January
February18,
20,
24,
15,
3, 2016
2015

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...
http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 100 of 105
May 18, 2016

1 of 3

December 9, 2015

Letters to the Editor, News and Commentary

Breaking: Kanes staff has approved one of two contracts needed to hire a special prosecutor to investigate the porno email
scandal
by Bill Keisling
Have Republicans in the top levels of Pennsylvania government and courts engineered a takeover of the Democraticcontrolled state attorney generals office?
Has this high-level palace coup taken place under everyones noses?
Are the criminal charges brought by Republican officials against AG Kane, her subsequent
law license suspension, and efforts by the state senate to remove her from office all simply
a ruse meant to distract voters from what is really going on: an attempt by Republicans to
control policy in the attorney generals office, and throughout state government, without
having won an election?
Recent developments in all three branches of Pennsylvania government make these
reasonable questions.
Several weeks ago, on November 18, four high-level staffers from the AGs office testified
before the state senate committee exploring AG Kanes removal from office that theyve
been running nearly all the offices legal functions since Kane could no longer practice law.
First Deputy Attorney General Bruce Beemer, and three executive deputy attorneys general
Robert Mulle, James Donahue, and Lawrence Cherba testified they have effectively
Kathleen Kane

taken control of the elective attorney generals office following Kanes unprecedented law

license suspension.
First Deputy AG Beemer is a holdover from the days when Republican Attorney General Tom Corbett ran the office, before
Kanes election in 2012.
When she came into office Kane probably thought Beemer was a nice guy, and a competent and experienced career
prosecutors, who should be kept around.
But did Attorney General Kane make a mistake not having her own loyalists in these top positions?

Several weeks back, Beemer and the other three made a splash at
the senate impeachment committee when they spoke about the
importance of the many criminal cases the office was responsible
for handling.
But criminal cases prosecuted by the AGs office are, from a public
policy perspective, small potatoes.
The state AGs office is a johnny-come-lately in criminal
prosecutions. Before the office became an elective one in 1980, the
AGs office seldom if ever prosecuted criminals. (Criminal
prosecutions, before 1980, were referred to local DAs.)

Newslanc
Complaint
Epic
Obstruction
Stan
Credit
J. Caterbone
Letter
ofCard
ofJudicial
Justice
to
Complaint
"Living"
theMisconduct
-AEditor
ALandmark
LANDMARK
Landmark
Declaration
Case
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Case

Four guys running the AG's office: who voted for them?

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Wednesday,
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January
February18,
20,
24,
3, 2016
1/20/2016 5:25 AM

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...
http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 101 of 105
May 18, 2016

2 of 3

For centuries, the most important job of the Pennsylvania attorney general has been to issue opinions on the legality or
constitutionality of state actions or programs.
Opinions issued by the Attorney General can and do concern the nuts and bolts of how state agencies are run from the
legality of programs, to who is hired, to how paper clips are bought, to the treatment and execution of prisoners.
Legal opinions of the attorney general carry the full force of law, until and unless a court overturns them.
Beemer and his three associates, testifying before the state senate, played down these important constitutional
responsibilities. These days, Beemer said, the AGs office rarely if ever issues important opinions on government or interagency matters.
Two recent and important issues demanding high-level decisions in the AGs office clearly demonstrate this is not true.
The first issue is a constitutional matter: the state senate is set to vote on whether to hold a hearing to remove Kane from
office, bypassing the constitutional impeachment process. Its the historic role of the attorney generals office to intervene on
questions of the legality of removing an official from office.
The second issue is a personnel, or contract, matter: The contract for Kanes choice of the special prosecutor to investigate
the court pornography email scandal must be reviewed and approved by her office.
AG Kane selected Douglas Gansler, a former Maryland attorney general, and his Washington DC-based law firm, to review
the hundreds of thousands of emails Kane found on her office servers.
But contracts hiring Gansler and his firm must be approved and signed by the attorney generals office staff.
The responsibility to review and approve Ganslers contract fell to one of the four AG office employees who testified several
weeks ago before the state senate panel to remove Kane: Robert Mulle, the executive deputy attorney general of the civil
law division.
Two employment contracts, one involving Gansler and the other his firm, landed on Deputy AG Mulles desk last week. Mulle
evidentially at first objected to the form and content of the special prosecutor agreements.
Kanes spokesman, Chuck Ardo, tells me, (Deputy AG) Mulle was able to work with Kane to massage the first of the two
contracts, about the firm.
That first contract has been signed, Ardo says. But Ganslers personal contract has yet to be approved, or signed.

They are still working on Ganslers contract, Ardo says. But she certainly got the first part approved.
Needless to say, the last thing state Republicans want is an unfettered special prosecutor looking into hundreds of
thousands of correspondence found on the AGs email servers.
Likewise, the attorney generals office must soon respond to the senates demand for a hearing to remove Kane from office.
Those running Kanes office apparently dont seem to be in any hurry, or think its their job, to weigh in on the constitutionality
of the senates proposed action.
But, it should go without saying, if a Democrat-controlled senate were to try removing a Republican attorney general in this
matter, the court papers already would be flying.
Likewise, if the porno email scandal involved mostly Democrats, instead of mostly Republican prosecutors and judges, a
special prosecutor would likely already be on the job.
So Kane finds herself having difficulties directing her own staff to work on these two important matters.
Three million Pennsylvania voters elected Kane. Voters didnt elect her staff members.

Newslanc
Complaint
Epic
Obstruction
Stan
Credit
J. Caterbone
Letter
ofCard
ofJudicial
Justice
to
Complaint
"Living"
theMisconduct
-AEditor
ALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

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Wednesday,
Sunday,February
January
February18,
20,
24,
3, 2016
1/20/2016 5:25 AM

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...
http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 102 of 105
May 18, 2016

3 of 3

Newslanc
Complaint
Epic
Obstruction
Stan
Credit
J. Caterbone
Letter
ofCard
ofJudicial
Justice
to
Complaint
"Living"
theMisconduct
-AEditor
ALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page
Page
Page
56
13
56
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60
9of
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Wednesday,
Sunday,February
January
February18,
20,
24,
3, 2016
1/20/2016 5:25 AM

Woes across government branches tarnish Pa.'s image, experts say | TribLIVEhttp://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 103 of 105
May 18, 2016

1 of 3

Obstruction
Stan
J. Caterbone
of Justice
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page5761
57ofof5963
59

February
February18,
3, 2016
2/3/2016 9:02 AM

Woes across government branches tarnish Pa.'s image, experts say | TribLIVEhttp://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 104 of 105
May 18, 2016

2 of 3

Obstruction
Stan
J. Caterbone
of Justice
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page5862
58ofof5963
59

February
February18,
3, 2016
2/3/2016 9:02 AM

Woes across government branches tarnish Pa.'s image, experts say | TribLIVEhttp://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...
U.S. Chapter 11 Bankruptcy Case No. 16-10517 Page 105 of 105
May 18, 2016

3 of 3

Obstruction
Stan
J. Caterbone
of Justice
"Living"
-AALandmark
LANDMARK
Landmark
Declaration
Case
Case
Case

Page
Page5963
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February
February18,
3, 2016
2/3/2016 9:02 AM

Schedules taken from MOVANT


CATERBONE'S
initial

record

bankruptcy

january 27, 2016

of

the

filing

on

Stan J. Caterbone Chapter 11

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www.amgglobalentertainmentgroup.com
[email protected]
717-669-2163
Stanley J. Caterbone, APPELLANT, Pro Se
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
IN THE UNITED STATES THIRD CIRCUIT COURT OF APPEALS
_______________________________________________________________________________
Lisa Michelle Lambert
:
PETITIONER
:
:
v.
:
CASE NO. 3400-2015
:
Lynn Bissonnette, et al.,
:
RESPONDANT
:
:
Stanley J. Caterbone
:
APPELLANT
:

SUBMISSION AS EXHIBIT BY APPELANT


Outstanding Receivables with Pro Se Billings To Date of $4,295,443.24, December 2,
2015
_______________________________________________________________________
I hereby on this 2nd day of December, 2015, submit for considerations in the above
captioned case the attached document as an EXHIBIT to be considered by the court in the
deliberations of this case. This exhibit, like the previous EXHIBITS, is intended to help the Court
understand the complexity of the APPELLANT'S obligation to provide the Court with the evidence
and insight to support the APPELLANT'S claims and statements. These documents will also provide
the

Court

with

sufficient

knowledge

of

the

APPELLANT'S

claim

of

the

value

of

the

Appellant's litigation of up to $50 million dollars as stated in the U.S. Bankruptcy Case No. 0523059. The APPELLANT does not intend to overburden the Court with unnecessary filings, however
this burden of supporting the claims and statements falls on the shoulders of all those in the
government that ignored the APPELLANT'S pleas for help to resolve these issues dating back to the
days immediately following the meeting with International Signal & Control, Plc., (ISC) Executive
Larry Resch on June 23, 1987.
This information could explain the COINTELPRO attributes of my situation and persons under
oath of law must refer this to the U.S. Attorney's Office and provide me with relief.
/s/ Stanley J. Caterbone
Date: December 2, 2015

Stan J. Caterbone Chapter 11

Stanley J. Caterbone, Pro Se Appellant


1250 Fremont Street
Lancaster, PA 17603
(717)-669-2163
[email protected]
http://www.amgglobalentertainmentgroup.com/__
Page 43 of 355

Tuesday, January 26, 2016

Stan J. Caterbone, APPELLANT, Pro Se


ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163

December 2, 2015
U.S.C.A. 15-3400
E.D.C. 14-02559 Lisa Michelle Lambert Habeus Corpus Appeal
Re: Outstanding Receivables with Pro Se Billings To Date
Item #1:

Advanced Media Group Invoices for September 3, 2015


Above includes invoice to Department of Defense for 23 years of
service as unwitting participant in experimentation of Mind Control in
the amount of $3,263,162.00
Documentation is provided for original invoices

TOTAL AMOUNT OF RECEIVABLES ..........................$ 3,861,115.74


Item #2:

Advanced Media Group Pro Se Billings and Sales Journal From


January 1, 2007 to December 31, 2008
Pro Se Billings to December 31, 2008..... $284,327.50
Estimate of Pro Se Billings To Date .......$150,000.00
TOTAL PRO SE BILLINGS ..................... $434,327.50

TOTAL ACCOUNTS RECEIVABLES FOR ADVANCED MEDIA GROUP


AS OF DECEMBER 2, 2015 .... $4,295,443.24

Stan J. Caterbone
APPELLANT, Pro Se
ADVANCED MEDIA GROUP

Stan J. Caterbone Chapter 11

Page 44 of 355

Tuesday, January 26, 2016

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0008

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Mark Hough, State Farm Agent
14 South Broad Street, No. 14
Lititz, PA 17543
Policy Number -38-EJ-8579-2
Lancaster City Police Incident Report No. 0711-22799
Date

Date Due

Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Invoice of May 1, 2009


Claim for Loss at 1250
Fremont Street

$ 4,202.87

$ 4,202.87

03/01/2009

03/01/2009

FC

Finance Charge

$35.02

$ 4,237.89

04/01/2009

04/01/2009

FC

Finance Charge

$35.02

$ 4,272.92

05/01/2009

05/01/2009

UD

Updated Claim

$ 6,911.87

$ 6,911.87

06/01/2009

06/01/2009

FC

Finance Charge

57.60

$ 6,969.47

07/01/2009

07/01/2009

FC

Finance Charge

57.60

$ 7,027.27

08/01/2009

08/01/2009

FC

Finance Charge

57.60

$ 7084.67

09/01/2009

09/01/2009

FC

Finance Charge

57.60

$ 7,142.27

10/01/2009
11/01/2009

10/01/2009
11/01/2009

FC
FC

Finance Charge
Finance Charge

$
$

57.60
57.60

$ 7,199.87
$7,257.47

12/01/2009

12/01/2009

FC

Finance Charge

57.60

$7,257.47

01/01/2010

01/01/2010

FC

Finance Charge

57.60

$7,372.67

02/01/2010

02/01/2010

FC

Finance Charge

57.60

$7,430.27

03/01/2010

03/01/2010

FC

Finance Charge

57.60

$7,487.87

04/01/2010

04/01/2010

FC

Finance Charge

57.60

$7,545.47

05/01/2010

05/01/2010

FC

Finance Charge

57.60

$7,603.07

09/03/2015

09/03/2015

FC

Finance Charge

$2,838.00

$10,441.00

6% Compounded Monthly

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

$10,441.00

Page
Page 245ofof119
355

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0007

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Lancaster County Treasurer
Lancaster County Courthouse
50 North Duke Street
Lancaster, PA 17602

Date

Date Due

Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

5.00

310.49

03/01/2009

03/01/2009

FC

Finance Charge

5.00

315.49

04/01/2009

04/01/2009

FC

Finance Charge

5.00

320.49

05/01/2009

05/01/2009

FC

Finance Charge

5.00

325.49

06/01/2009

06/01/2009

FC

Finance Charge

5.00

330.49

07/01/2009

07/01/2009

FC

Finance Charge

5.00

335.49

08/01/2009

08/01/2009

FC

Finance Charge

5.00

340.49

09/01/2009

09/01/2009

FC

Finance Charge

5.00

345.49

10/01/2009

10/01/2009

FC

Finance Charge

5.00

350.49

11/01/2009

11/01/2009

FC

Finance Charge

5.00

355.49

12/01/2009

12/01/2009

FC

Finance Charge

5.00

360.49

01/01/2010

01/01/2010

FC

Finance Charge

5.00

365.49

02/01/2010

02/01/2010

FC

Finance Charge

5.00

370.49

03/01/2010

03/01/2010

FC

Finance Charge

5.00

375.49

04/01/2010

04/01/2010

FC

Finance Charge

5.00

380.49

05/01/2010

05/01/2010

FC

Finance Charge

5.00

385.49

09/03/2015

09/03/2015

FC

Finance Charge

143.15

528.60

6% Compounded Monthly
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 346ofof119
355

$ 528.60

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0006

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Harleysville Insurance Company
P.O. Box 198
Harleysville, PA 19438-9919

Claim No.'s:

MD-702274
MO-658554-U XC
MO-6546~9-U XC

Phone: 888.595.9876
Fax: 888.492.8954
E-mail: [email protected]

Date

Date Due

Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 14,782.79

03/01/2009

03/01/2009

FC

Finance Charge

135.14

$ 14,917.93

04/1/2009

04/1/2009

FC

Finance Charge

135.14

$ 15,053.07

05/1/2009

05/1/2009

FC

Finance Charge

135.14

$ 15,188.21

06/1/2009

06/1/2009

FC

Finance Charge

135.14

$ 15,323.35

07/1/2009

07/1/2009

FC

Finance Charge

135.14

$ 15,458.49

08/1/2009

08/1/2009

FC

Finance Charge

135.14

$ 15,593.63

09/1/2009

09/1/2009

FC

Finance Charge

135.14

$ 15,728.77

10/1/2009

10/1/2009

FC

Finance Charge

135.14

$ 15,863.91

11/1/2009

11/1/2009

FC

Finance Charge

135.14

$ 15,999.05

12/1/2009

12/1/2009

FC

Finance Charge

135.14

$ 16,134.19

01/1/2010

01/1/2010

FC

Finance Charge

135.14

$ 16,269.33

02/1/2010

02/1/2010

FC

Finance Charge

135.14

$ 16,404.47

03/1/2010

03/1/2010

FC

Finance Charge

135.14

$ 16,539.61

04/1/2010

04/1/2010

FC

Finance Charge

135.14

$ 16,674.75

05/1/2010

05/1/2010

FC

Finance Charge

135.14

$ 16,809.89

09/03/2015

09/03/2015

FC

Finance Charge

$ 6,270.00

$ 23,079.97

135.14

6% Compounded Monthly
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 447ofof119
355

$23,079.97

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0005

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Drew Anthon, Owner
Eden Resort Inn
222 Eden Road
Lancaster, PA 17601

Case No. CI-05-03644 Lancaster County Court of Common Pleas

Date

Date Due

Reference

Description

Amount

02/01/2009

02/01/2009

FC

Finance Charge

03/01/2009

03/01/2009

FC

Finance Charge

269.81

$ 29,513.83

04/1/2009

04/1/2009

FC

Finance Charge

269.81

$ 29,783.64

05/1/2009

05/1/2009

FC

Finance Charge

269.81

$ 30,053.45

06/1/2009

06/1/2009

FC

Finance Charge

269.81

$ 30,323.26

07/1/2009

07/1/2009

FC

Finance Charge

269.81

$ 30,593.07

08/1/2009

08/1/2009

FC

Finance Charge

269.81

$ 30,862.88

09/1/2009

09/1/2009

FC

Finance Charge

269.81

$ 31,132.69

10/1/2009

10/01/2009

FC

Finance Charge

269.81

$ 31,402.50

11/1/2009

11/01/2009

FC

Finance Charge

269.81

$ 31,672.31

12/1/2009

12/01/2009

FC

Finance Charge

269.81

$ 31,942.12

01/1/2010

01/01/2010

FC

Finance Charge

269.81

$ 32,211.33

02/1/2010

02/01/2010

FC

Finance Charge

269.81

$ 32,481.14

03/1/2010

03/01/2010

FC

Finance Charge

269.81

$ 32,751.55

04/1/2010

04/01/2010

FC

Finance Charge

269.81

$ 33,021.36

05/1/2010

05/01/2010

FC

Finance Charge

269.81

$ 33,291.17

09/03/2015

09/03/2015

FC

Finance Charge

$12,417.60

$ 45,708.77

269.81

Balance
$ 29,244.02

6% Compounded Monthly
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 548ofof119
355

$45,708.77

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0003

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
High Industries
1833 William Penn Way
Greenfield Industrial Park
Lancaster, PA 17601
Date

Date Due

Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 18,724.22

03/01/2009

03/01/2009

FC

Finance Charge

171.17

$ 18,895.39

04/1/2009

04/1/2009

FC

Finance Charge

171.17

$ 19,066.56

05/1/2009

05/1/2009

FC

Finance Charge

171.17

$ 19,237.73

06/1/2009

06/1/2009

FC

Finance Charge

171.17

$ 19,408.90

07/1/2009

07/1/2009

FC

Finance Charge

171.17

$ 19,580.07

08/1/2009

08/1/2009

FC

Finance Charge

171.17

$ 19,751.24

09/1/2009

09/1/2009

FC

Finance Charge

171.17

$ 19,922.41

10/1/2009

10/1/2009

FC

Finance Charge

171.17

$ 20,093.58

11/1/2009

11/1/2009

FC

Finance Charge

171.17

$ 20,264.75

12/1/2009

12/1/2009

FC

Finance Charge

171.17

$ 20,435.92

01/1/2010

01/1/2010

FC

Finance Charge

171.17

$ 20,607.09

02/1/2010

02/1/2010

FC

Finance Charge

171.17

$ 20,778.26

03/1/2010

03/1/2010

FC

Finance Charge

171.17

$ 20,949.43

04/1/2010

04/1/2010

FC

Finance Charge

171.17

$ 21,120.60

05/1/2010

05/1/2010

FC

Finance Charge

171.17

$ 29,233.60

09/03/2015

09/03/2015

FC

Finance Charge

$ 8,113.00

$ 45,708.77

171.17

6% Compounded Monthly
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 649ofof119
355

$29,233.60

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0004

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Fulton Bank of Fulton Financial Corporation
Accounts Payable
One Penn Square
Lancaster, PA 17602
220 Stone Hill Road, Conestoga, PA
Foreclosure Overcharge Case No. CI-07-00019 and Case No. CI-06-02271
Date
Date Due
Reference Description
Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 82,170.02

03/01/2009

03/01/2009

FC

Finance Charge

751.17

$ 82,921.19

04/01/2009

04/01/2009

FC

Finance Charge

751.17

$ 83,672.36

05/01/2009

05/01/2009

FC

Finance Charge

751.17

$ 84,423.53

06/01/2009

06/01/2009

FC

Finance Charge

751.17

$ 85,174.70

07/01/2009

07/01/2009

FC

Finance Charge

751.17

$ 85,925.87

08/01/2009

08/01/2009

FC

Finance Charge

751.17

$ 86,677.04

09/01/2009

09/01/2009

FC

Finance Charge

751.17

$ 87,428.21

10/01/2009

10/01/2009

FC

Finance Charge

751.17

$ 88,179.38

11/01/2009

11/01/2009

FC

Finance Charge

751.17

$ 88,930.55

12/01/2009

12/01/2009

FC

Finance Charge

751.17

$ 89,681.72

01/01/2010

01/01/2010

FC

Finance Charge

751.17

$ 90,432.85

02/01/2010

02/01/2010

FC

Finance Charge

751.17

$ 91,184.02

03/01/2010

03/01/2010

FC

Finance Charge

751.17

$ 91,935.23

04/01/2010

04/01/2010

FC

Finance Charge

751.17

$ 92,686.40

09/03/2015

09/03/2015

FC

Finance Charge

$ 35,603.38

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 750ofof119
355

751.17

$128,289.78

$128,289.78

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0004

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Mark Reese, Sheriff
Lancaster County Sheriffs Department
50 North Duke Street
Lancaster, PA 17602
220 Stone Hill Road, Conestoga, PA
Foreclosure Overcharge Case No. CI-07-00019 and Case No. CI-06-02271
Date

Date Due

Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 82,170.02

03/01/2009

03/01/2009

FC

Finance Charge

751.17

$ 82,921.19

04/01/2009

04/01/2009

FC

Finance Charge

751.17

$ 83,672.36

05/01/2009

05/01/2009

FC

Finance Charge

751.17

$ 84,423.53

06/01/2009

06/01/2009

FC

Finance Charge

751.17

$ 85,174.70

07/01/2009

07/01/2009

FC

Finance Charge

751.17

$ 85,925.87

08/01/2009

08/01/2009

FC

Finance Charge

751.17

$ 86,677.04

09/01/2009

09/01/2009

FC

Finance Charge

751.17

$ 87,428.21

10/01/2009

10/01/2009

FC

Finance Charge

751.17

$ 88,179.38

11/01/2009

11/01/2009

FC

Finance Charge

751.17

$ 88,930.55

12/01/2009

12/01/2009

FC

Finance Charge

751.17

$ 89,681.72

01/01/2010

01/01/2010

FC

Finance Charge

751.17

$ 90,432.85

02/01/2010

02/01/2010

FC

Finance Charge

751.17

$ 91,184.02

03/01/2010

03/01/2010

FC

Finance Charge

751.17

$ 91,935.23

04/01/2010

04/01/2010

FC

Finance Charge

751.17

$ 92,686.40

05/01/2010

05/01/2010

FC

Finance Charge

751.17

$ 93,437.57

09/03/2015

09/03/2015

FC

Finance Charge

$ 35,603.38

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 851ofof119
355

751.17

$128,289.78

$128,289.78

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0004

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Shawn Long, Esq.,
Barley Snyder, LLC
126 East King Street
Lancaster, PA 17602
220 Stone Hill Road, Conestoga, PA
Foreclosure Overcharge Case No. CI-07-00019 and Case No. CI-06-02271
Date
Date Due
Reference Description
Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 82,170.02

03/01/2009

03/01/2009

FC

Finance Charge

751.17

$ 82,921.19

04/01/2009

04/01/2009

FC

Finance Charge

751.17

$ 83,672.36

05/01/2009

05/01/2009

FC

Finance Charge

751.17

$ 84,423.53

06/01/2009

06/01/2009

FC

Finance Charge

751.17

$ 85,174.70

07/01/2009

07/01/2009

FC

Finance Charge

751.17

$ 85,925.87

08/01/2009

08/01/2009

FC

Finance Charge

751.17

$ 86,677.04

09/01/2009

09/01/2009

FC

Finance Charge

751.17

$ 87,428.21

10/01/2009

10/01/2009

FC

Finance Charge

751.17

$ 88,179.38

11/01/2009

11/01/2009

FC

Finance Charge

751.17

12/01/2009

12/01/2009

FC

Finance Charge

751.17

$ 89,681.72

01/01/2010

01/01/2010

FC

Finance Charge

751.17

$ 90,432.85

02/01/2010

02/01/2010

FC

Finance Charge

751.17

$ 91,184.02

03/01/2010

03/01/2010

FC

Finance Charge

751.17

$ 91,935.23

04/01/2010

04/01/2010

FC

Finance Charge

751.17

$ 92,686.40

09/03/2015

09/03/2015

FC

Finance Charge

$ 35,603.38

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page 952ofof119
355

751.17

$ 88,930.55

$128,289.78

$128,289.78

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0001

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
S.N. Lombardo Development Company
c/o Benecon Insurance Company
3175 Oregon Pike
Leola, PA 17540
626 Charlotte Street Development Proposal
Date
Date Due
Reference

Description

Amount

Balance

02/01/2009

02/01/2009

FC

Finance Charge

$ 2,335.92

03/01/2009

03/01/2009

FC

Finance Charge

21.35

$ 2,357.27

04/01/2009

04/01/2009

FC

Finance Charge

21.35

$ 2,378.62

05/01/2009

05/01/2009

FC

Finance Charge

21.35

$ 2,399.97

06/01/2009

06/01/2009

FC

Finance Charge

21.35

$ 2,421.32

07/01/2009

07/01/2009

FC

Finance Charge

21.35

$ 2,442.67

08/01/2009

08/01/2009

FC

Finance Charge

21.35

$ 2,464.02

09/01/2009

09/01/2009

FC

Finance Charge

21.35

$ 2,485.37

10/01/2009

10/01/2009

FC

Finance Charge

21.35

$ 2,506.72

11/01/2009

11/01/2009

FC

Finance Charge

21.35

$ 2,528.07

12/01/2009

12/01/2009

FC

Finance Charge

21.35

$ 2,549.42

01/01/2010

01/01/2010

FC

Finance Charge

21.35

$ 2,570.77

02/01/2010

02/01/2010

FC

Finance Charge

21.35

$ 2,592.12

03/01/2010

03/01/2010

FC

Finance Charge

21.35

$ 2,613.47

04/01/2010

04/01/2010

FC

Finance Charge

21.35

$ 2,634.82

09/03/2015

09/03/2015

FC

Finance Charge

$ 1,012.10

$ 3,646.92

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page10
53ofof119
355

21.35

$ 3,646.82

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0009

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Pfumm Contractors, Inc.,
58 South Duke Street
Millersville, PA 17551
Town and Country Lease of April 31, 1998
Date
Date Due
Reference

Description

Amount

Balance

Outstanding Payments
for Town & Country Lease
Executed on April 31, 1998
For 1994 Ford Explorer as
Per Agreement. See Attached
Exhibits.

$ 14,000.00

$ 14,000.00

05/1/2009

05/1/2009

Invoice

06/1/2009

06/1/2009

Finance Charge

116.67

$ 14,116.67

07/1/2009

07/1/2009

Finance Charge

116.67

$ 14,233.34

08/1/2009

08/1/2009

Finance Charge

116.67

$ 14,350.01

09/1/2009

09/1/2009

Finance Charge

116.67

$ 14,466.68

10/1/2009

10/1/2009

Finance Charge

116.67

$ 14,466.68

11/1/2009

11/1/2009

Finance Charge

116.67

$ 14,700.02

12/1/2009

12/1/2009

Finance Charge

116.67

$ 14,816.69

01/1/2010

01/1/2010

Finance Charge

116.67

$ 14,933.36

02/1/2010

02/1/2010

Finance Charge

116.67

$ 15,050.03

03/1/2010

03/1/2010

Finance Charge

116.67

$ 15,166.70

04/1/2010

04/1/2010

Finance Charge

116.67

$ 15,283.37

05/1/2010

05/1/2010

Finance Charge

116.67

$ 15,400.04

09/03/2015

09/03/2015

Finance Charge

PAID IN FULL Victim of U.S. Sponsored Mind Control?

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

$ 5,744.21
TOTAL DUE:

Page
Page11
54ofof119
355

$ 21,144.25

$ 0.00

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID: 0010
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
Account of:
New Holland Dental
650 East Main Street
New Holland, PA 17557
Date

Date Due

05/1/2009

05/1/2009

Reference
Invoice

Description

Amount

Balance

Outstanding Invoice

$ 2,600.00

2,618.00

Invoice Discrimination and Harassment during Free Dental Day of May 1, 2009 Patient traveled to
facility at Approx. 6:00 for free dental Services to get at least a Cavity filled after seeing it on
WGAL-T\/8 News at 5:30 am. At approximately 11:00 am patient received a Panoramic X-Ray
and approximately 10 minutes later the patient received a free dental Examination in the
examination room closest to Main Street, New Holland by a Dentist who identified himself as
being from Reading. The dentist examined the patient's mouth and described a large cavity (from
a prior filling falling out) that needed a crown or filling. Patient explained that he wanted a filling
and would opt for a crown at a later time. Dentist agreed and wrote the prognosis and treatment
for a filling on patient's chart. Patient was told to wait for his turn. The Dental Staff broke for
lunch, and patient immediately inquired about the number. Staff had told the yet to be treated
patients that approximately 70 to 80 people were already treated. Patient had number 366,
which meant that 65 persons were to be treated before him. The Staff told patient that he would
be one of first after lunch. It was now approximately 2:15 when 3 females approached the
patient in the waiting room and tried to explain that there was an infection in the area to be
treated, however the examining dentist made no mention of any infection or abscess. The patient
did not know if the girls were authorized, or even if they were part of the dental staff. The
patient demanded his X-Ray and walked out of the facility. The woman and 2 females that
identified themselves as coming from the Mt. Joy Career Technical Institute, namely the darker
student and the teacher were harassing all day.

8 Hours of Consulting Time


At $75.00 Per Hour for Time
Wasted on Promised Dental Care.
8- Gallons Gasoline
2- Hot Dogs
Harassment; Pain and Suffering

$600.00
$ 16.00
$ 2.00
$2,000.00

2009 BALANCE FORWARD


01/1/2010
02/1/2010
03/1/2010
04/1/2010
05/1/2010
09/03/2015

01/1/2010
02/1/2010
03/1/2010
04/1/2010
05/1/2010
09/03/2015

Finance
Finance
Finance
Finance
Finance
Finance

Charge
Charge
Charge
Charge
Charge
Charge

$
21.82
$
21.82
$
21.82
$
21.82
$
21.82
$ 1,074.19
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page12
55ofof119
355

$ 2,770.74
$
$
$
$
$
$

2,792.56
2,814.38
2,836.20
2,858.02
2,879.84
3,953.63

$ 3,953.63

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0011

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Social Security Administration
Suite 104
1809 Olde Homestead Lane
Lancaster, PA 17601-5957
Date

Date Due

05/1/2009

05/1/2009

06/1/2009

Reference
Invoice

Description

Amount

Disability/SSI Payments From


December 1, 2005 to May 1, 2009
42 Months at $835.00 per month $ 35,070.00

Balance

$ 35,070.00

06/1/2009

Finance Charge
Monthly Disability

$
$

292.25
835.00

$ 35,362.25

07/1/2009

Finance Charge
Monthly Disability

$
$

292.25
835.00

$ 36,489.50

08/1/2009

08/1/2009

Finance Charge
Monthly Disability

$
$

292.25
835.00

$ 37,616.75
$ 38,451.75

08/20/2009

08/20/2009

Payment

$21,460.00

$ 16,991.75

09/1/2009

09/1/2009

Finance Charge

0.00

$ 16,991.75

10/1/2009

10/1/2009

Finance Charge

141.60

$ 17,133.35

11/1/2009

11/1/2009

Finance Charge

141.60

$ 17,274.95

12/1/2009

12/1/2009

Finance Charge

141.60

$ 17,416.55

01/1/2010

01/1/2010

Finance Charge

141.60

$ 17,558.15

02/1/2010

02/1/2010

Finance Charge

141.60

$ 17,669.75

03/1/2010

03/1/2010

Finance Charge

141.60

$ 17,841.35

04/1/2010

04/1/2010

Finance Charge

141.60

$ 17,982.95

05/1/2010

05/1/2010

Finance Charge

141.60

$ 18,124.55

09/03/2015

09/03/2015

Finance Charge

$ 6,760.45

$ 24,885.00

$36,197.25
07/1/2009
$37,324.50

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page13
56ofof119
355

$ 24,885.00

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603

0012

Account of:
Pennsylvania Unemployment Compensation
7th Floor, Labor & Industry Building

651 Boas Street


Harrisburg, PA 17121

Date

Date Due

05/1/2009

05/1/2009

Reference

Description

Amount

Balance

Invoice

18 months of Pennsylvania Unemployment Compensation


Benefits from July 1, 1987 to December 1, 1988
At $400.00 Per Week
$21,600.00
Interest 10% Per Annually
$43,200.00

Invoice

18 months of Pennsylvania Unemployment Compensation


Benefits from May 1, 1998 to August 1, 1999
At $400.00 Per Week
$36,000.00
Interest 10% Per Annually
$28,800.00
TOTAL

$129,600.00

06/1/2009

06/1/2009

Finance Charge

1,080.00

$130,680.00

07/1/2009

07/1/2009

Finance Charge

1,080.00

$131,760.00

08/1/2009

08/1/2009

Finance Charge

1,080.00

$132,840.00

09/1/2009

09/1/2009

Finance Charge

1,080.00

$133,920.00

10/1/2009

10/1/2009

Finance Charge

1,080.00

$135,000.00

11/1/2009

11/1/2009

Finance Charge

1,080.00

$136,080.00

12/1/2009

12/1/2009

Finance Charge

1,080.00

$137,160.00

01/1/2010

01/1/2010

Finance Charge

1,080.00

$138,240.00

02/1/2010

02/1/2010

Finance Charge

1,080.00

$139,320.00

03/1/2010

03/1/2010

Finance Charge

1,080.00

$140,400.00

04/1/2010

04/1/2010

Finance Charge

1,080.00

$141,480.00

05/1/2010

05/1/2010

Finance Charge

1,080.00

$142,560.00

09/03/2015

09/03/2015

Finance Charge

$28,460.88

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page14
57ofof119
355

TOTAL DUE:

$170,020.88

$170,020.88
Tuesday,September
January 26,
3,

2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0014

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Southern Regional Police Department
3284 Main Street
Conestoga, PA 17516

Date

Date Due

05/1/2009

05/1/2009

Reference
Invoice

Description

Amount

Balance

Stolen Cash of April 5, 2006 during


302 Incident
$ 743.00
Window Repair of April 5, 2006 during
302 Incident
$ 315.00
Towing & Storage of April 5, 2006 during
302 Incident
$ 280.00
Subtotal
$ 1,388.40
Interest to June 1, 2009

$ 443.00

$ 1,781.40

06/1/2009

06/1/2009

Finance Charge

0.00

$ 1,781.40

07/1/2009

07/1/2009

Finance Charge

14.85

$ 1,796.25

08/1/2009

08/1/2009

Finance Charge

14.85

$ 1,811.10

09/1/2009

09/1/2009

Finance Charge

14.85

$ 1,825.95

10/1/2009

10/1/2009

Finance Charge

14.85

$ 1,840.80

11/1/2009

11/1/2009

Finance Charge

14.85

$ 1,855.65

12/1/2009

12/1/2009

Finance Charge

14.85

$ 1,870.50

01/1/2010

01/1/2010

Finance Charge

14.85

$ 1,885.36

02/1/2010

02/1/2010

Finance Charge

14.85

$ 1,900.21

03/1/2010

03/1/2010

Finance Charge

14.85

$ 1,915.05

04/1/2010

04/1/2010

Finance Charge

14.85

$ 1,929.90

05/1/2010

05/1/2010

Finance Charge

14.85

$ 1,944.75

09/03/2015

09/03/2015

Finance Charge

$ 725.39

$ 2,670.14

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page15
58ofof119
355

$ 2,670.14

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603

0015

Account of:
Lancaster Employment Training Agency LETA
1016 North Charlotte Street
Lancaster, PA 17603

Date

Date Due

06/1/2009

05/1/2009

Reference
Invoice

Description

Amount

Invoice Individual Training Account (ITA)


Provider Service Title:
Paralegal Studies
$14,000.00
See Attached Exhibits

Balance

$ 14,000.00

07/1/2009

07/1/2009

Finance Charge

$ 116.67

$ 14,116.67

08/1/2009

08/1/2009

Finance Charge

$ 116.67

$ 14,233.34

09/1/2009

09/1/2009

Finance Charge

$ 116.67

$ 14,350.01

10/1/2009

10/1/2009

Finance Charge

$ 116.67

$ 14,466.69

11/1/2009

11/1/2009

Finance Charge

$ 116.67

$ 14,583.35

12/1/2009

12/1/2009

Finance Charge

$ 116.67

$ 14,700.02

01/1/2010

01/1/2010

Finance Charge

$ 116.67

$ 14,816.69

02/1/2010

02/1/2010

Finance Charge

$ 116.67

$ 14,933.36

03/1/2010

03/1/2010

Finance Charge

$ 116.67

$ 15,050.03

04/1/2010

04/1/2010

Finance Charge

$ 116.67

$ 15,166.70

05/1/2010

05/1/2010

Finance Charge

$ 116.67

$ 15,283.37

09/03/2015

09/03/2015

Finance Charge

$ 5,700.69
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page16
59ofof119
355

$ 20,984.06

$ 20,984.06

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0016

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
State Farm Insurance
100 State Farm Place
Ballstron Spa, NY 12020-8000

Re: Insurance Policy Claim No. 38-P876-509


Pennsylvania Department of Insurance No. 09-169-68443
Date

Date Due

06/1/2009

06/1/2009

Reference
Invoice

Description

Amount

Balance

Self Insurance Fund


33% of $35,000.00 Contents Coverage
Failure to Honor Claims Per
Contract Pursuant to State and
Federal Laws $ 11,666.67
See Attached Exhibits
$11,666.67
$11,666.67

7/1/2009

07/1/2009

Finance Charge

97.23

$11,763.90

8/1/2009

08/1/2009

Finance Charge

97.23

$11,861.13

9/1/2009

09/1/2009

Finance Charge

97.23

$11,958.36

10/1/2009

10/1/2009

Finance Charge

97.23

$12,055.59

11/1/2009

11/1/2009

Finance Charge

97.23

$12,152.82

01/1/2010

01/1/2010

Finance Charge

97.23

$12,347.28

02/1/2010

02/1/2010

Finance Charge

97.23

$12,444.51

03/1/2010

03/1/2010

Finance Charge

97.23

$12,541.74

04/1/2010

04/1/2010

Finance Charge

97.23

$12,638.97

05/1/2010

05/1/2010

Finance Charge

97.23

$12,736.20

09/03/2015

09/03/2015

Finance Charge

$ 4,750.60

$ 17,486.80

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page17
60ofof119
355

$ 17,486.80

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID: 0017
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
Account of:
The Lancaster Bureau of Police
39 West Chestnut Street
Lancaster, PA 17603-3510

Re: State Department of Insurance File No. 09-169-68443


State Farm Insurance Policy Claim No. 38-P876-509
Date

Date Due

Reference

Description

Amount

06/1/2009

06/1/2009

Invoice

7/1/2009

07/1/2009

Finance Charge

97.64

$11,814.31

8/1/2009

08/1/2009

Finance Charge

97.64

$11,911.95

9/1/2009

09/1/2009

Finance Charge

97.64

$12,009.59

10/1/2009

10/1/2009

Finance Charge

97.64

$12,107.23

11/1/2009

11/1/2009

Finance Charge

97.64

$12,204.87

12/1/2009

12/1/2009

Finance Charge

97.64

$12,302.51

01/1/2010

01/1/2010

Finance Charge

97.64

$12,400.15

02/1/2010

02/1/2010

Finance Charge

97.64

$12,497.79

03/1/2010

03/1/2010

Finance Charge

97.64

$12,595.43

04/1/2010

04/1/2010

Finance Charge

97.64

$12,693.07

05/1/2010

05/1/2010

Finance Charge

97.64

$12,790.71

09/03/2015

09/03/2015

New Front Door From Illegal 302 on July 9, 2015

600.00

$ 13,390.71

09/03/2015

09/03/2015

Finance Charge

$ 4,994.73

$ 18,385.44

Self Insurance Fund


33% of $35,000.00 Contents Coverage
Failure to Honor Claims Per
Contract Pursuant to State and
Federal Laws $ 11,666.67
See Attached Exhibits
$11,666.67
$11,666.67

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Balance

Page
Page18
61ofof119
355

$ 18,385.44

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0018

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Pennsylvania Department of Insurance
Bureau of Consumer Services

1209 Strawberry Square


Harrisburg, PA 17120

Re: State Department of Insurance File No. 09-169-68443


State Farm Insurance Policy Claim No. 38-P876-509
Date

Date Due

Reference

Description

Amount

06/1/2009

06/1/2009

Invoice

7/1/2009

07/1/2009

Finance Charge

97.23

$11,763.90

8/1/2009

08/1/2009

Finance Charge

97.23

$11,861.13

9/1/2009

09/1/2009

Finance Charge

97.23

$11,958.36

10/1/2009

10/1/2009

Finance Charge

97.23

$12,055.59

11/1/2009

11/1/2009

Finance Charge

97.23

$12,152.82

12/1/2009

12/1/2009

Finance Charge

97.23

$12,250.05

01/1/2010

01/1/2010

Finance Charge

97.23

$12,347.28

02/1/2010

02/1/2010

Finance Charge

97.23

$12,444.51

03/1/2010

03/1/2010

Finance Charge

97.23

$12,541.74

04/1/2010

04/1/2010

Finance Charge

97.23

$12,638.97

05/1/2010

05/1/2010

Finance Charge

97.23

$12,736.20

09/03/2015

09/03/2015

Finance Charge

$ 4,750.60

Self Insurance Fund


33% of $35,000.00 Contents Coverage
Failure to Honor Claims Per
Contract Pursuant to State and
Federal Laws $ 11,666.67
See Attached Exhibits
$11,666.67
$11,666.67

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Balance

Page
Page19
62ofof119
355

$ 17,486.80

$ 17,486.60

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0013

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Lancaster County Assistance Office LCAO
Pennsylvania Department of Welfare
832 Manor Avenue
Lancaster, PA 17603

Date

Date Due

05/1/2009

05/1/2009

Reference
Invoice

Description

Amount

Balance

Food Stamp Benefits with a Free $ 5,920.00


Red Rose Transit Authority Bus Pass
October 1, 2006 to May 1, 2008
32 Months at $185.00 per Month
Legal Costs 4 Appeals
at $2,500 Each

$10,000.00

$15,920.00

06/1/2009

06/1/2009

Finance Charge

132.67

$ 16,052.67

07/1/2009

07/1/2009

Finance Charge

132.67

$ 16,185.34

08/1/2009

08/1/2009

Finance Charge

132.67

$ 16,318.01

09/1/2009

09/1/2009

Finance Charge

132.67

$ 16,450.68

10/1/2009

10/1/2009

Finance Charge

132.67

$ 16,583.35

11/1/2009

11/1/2009

Finance Charge

132.67

$ 16,716.02

12/1/2009

12/1/2009

Finance Charge

132.67

$ 16,848.69

01/1/2010

01/1/2010

Finance Charge

132.67

$ 16,981.36

02/1/2010

02/1/2010

Finance Charge

132.67

$ 17,114.03

03/1/2010

03/1/2010

Finance Charge

132.67

$ 17,246.70

04/1/2010

04/1/2010

Finance Charge

132.67

$ 17,379.37

05/1/2010

05/1/2010

Finance Charge

132.67

$ 17,512.04

09/03/2015

09/03/2015

Finance Charge

$ 6,531.99

$ 24,044.03

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page20
63ofof119
355

$ 24,044.03

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0020

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
State Auto Insurance Company

Eastern Regional Office


PO Box 2006
Mechanicsburg PA 17055-0733
(717)697-1121
Claim Number: CATE-0285037-090409
Loss Date: 09/04/2009
Insured: STANLEY CATERBONE

Date

Date Due

12/1/2009

12/1/2009

01/1/2010

01/1/2010

02/1/2010

Reference

Description

Amount

Invoice Parts and Labor for Rear Bumper

Balance

$700.00

$ 700.00

Finance Charge

5.83

$ 705.83

02/1/2010

Finance Charge

5.83

$ 711.66

03/1/2010

03/1/2010

Finance Charge

5.83

$ 717.49

04/1/2010

04/1/2010

Finance Charge

5.83

$ 723.32

05/1/2010

05/1/2010

Finance Charge

5.83

$ 729.15

09/03/2015

09/03/2015

Finance Charge

$ 271.97
TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page21
64ofof119
355

$1,001.12

$ 1001.12

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0021

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
United States Department of Defense
Ashton Carter
Secretary of Defense
1000 Defense Pentagon
Washington, DC 20301-1000
Date

Date Due

Reference

Description

Amount

01/1/2010

01/1/2010

23 Years of Service of unwitting experimentation


under U.S. Sponsored Mind Control
for the development and deployment
of U.S. Military weapons and systems
$100,000.00 per Year1

Balance

$2,300,000.00

See attached:
Federal Whistleblower and Targeted Individual of U.S Sponsored Mind

Control

Executive Summary, September 13, 2009 With Ground Zero


See Supporting Documentation by Visiting:

1.Memo to Secretary Robert Gates of April 7, 2009


2.http://www.scribd.com/doc/24371616/Submission-to-U-S-Department-of-Defense-Website-Re-U-SSecretary-of-Defense-Robert-Gates-April-7-2009

3.ISC & Pakistan Missle Project Called Khyber-Pass


4.http://www.scribd.com/doc/24366542/ISC-and-the-Pakistan-Missle-Deals-of-1986-Called-TheKhyber-Pass-Project

5.CIA Torture Investigations EIT Program & SERE and U.S. Sponsored Mind Control by Stan J. Caterbone,
October 2, 2009 Used as Exhibit in Human Rights Complaint to U.N. Council for Human Rights

6.http://www.scribd.com/doc/23900626/CIA-Torture-Investigations-EIT-Program-SERE-and-U-SSponsored-Mind-Control-by-Stan-Caterbone-October-2-2009
02/1/2010

02/1/2010

Finance Charge

19,166.66

$2,300,019.66

03/1/2010

03/1/2010

Finance Charge

19,166.66

$2,740,671.74

04/1/2010

04/1/2010

Finance Charge

19,166.66

$2,357.499.98

05/1/2010

05/1/2010

Finance Charge

19,166.66

$2,376,666.54

09/03/2015

09/03/2015

$88,495.46

$3,263,162.00

Finance Charge

TOTAL DUE:

$3,263,162.00

Fee for service does not include interest, penalties, or any damages to health and welfare of Stanley J.
Caterbone.
Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11
Page
Page22
65ofof119
355
Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

0022

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
Account of:
Pennsylvania Department of Transportation (PennDOT)
Bureau of Drivers Licensing

P.O. Box 68693


Harrisburg, PA 17106-8693
Re:

Lic No. 18195782


WID No. 100548019003570 001
Stan J. Caterbone, Licensee

Date

Date Due

Reference

02/16/2010

03/01/2010

Illegal Suspension and Revocation2 $500.00 Per Day


of Pennsylvania Drivers Privileges
for a Period of One Year Due To
Subversion and Obstruction of
Appeal of Trial Court Case No. 3179-06
to Superior Court of Pennsylvania and
Malicious Prosecution and False Arrest
12 Days From February 16 to March 1
$6,000.00

$6.000.00

31 Days at $500.00 Per Day

$15,550.00

$21,550.00

$8,038.15

$ 29,588.15

04/01/2010

04/01/2010

09/03/2015

09/03/2015

Finance Charge

Description

Amount

TOTAL DUE:

2
Attached
Documents
For Review ONPage
ORIGINAL
INVOICE ONLY!
Stan See
Advanced
J. Caterbone
Media Group
Chapter
Recievables
11
Page23
66ofof119
355

Balance

$ 29,588.15

Tuesday,September
January 26,
3, 2016
2015

STATEMENT
Statement Date
September 3, 2015
Customer ID:

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603

Re:

Account of:
City of Lancaster
Attention: Housing and Neighborhood Revitalization Unit
120 North Duke Street
Lancaster City Rehab Program Application & Denial

Date

Date Due

Reference

Description

Amount

0023

Balance

On May 19, 2015 Stan Caterbone visited City Hall with the application for the Lancaster City Rehab
Program as instructed By an employee of the City of Lancaster. Stan Caterbone had met with the
employee on several occasions regarding the Application and approval process.
The week before Stan Caterbone had delivered a Contractors Application from a local Contractor
named Mark Nuchi, ($2,700 estimate for a new roof; which is in dire need of repair) a local roofer. The
employee had told Stan Caterbone to complete the application in advance Of transferring the Deed of
1250 Fremont Street from the Estate of Yolanda Caterbone. On May 19, 2015 Darren Palmer, the
Inspector and Marrisol Torres reviewed the application and Stan Caterbone questioned them on
whether the review process included any sort of requirements regarding the amount of assets listed on
the application. They both told Stan Caterbone that all financial assets receive a multiple of 2.5 times
the amount and that amount is included in the income analysis for the income requirements as
outlined on the website under HUD requirements.
Stan Caterbone became frustrated because the website lists In detail all requirements for financial
review. No where on the website does it mention any analysis or limits of assets. Marrisol Torres
responded that the asset analysis is included in the handbook from HUD. Stan Caterbone asserted that
he spent some 25 hours preparing the application.
Stan Caterbone does not believe that the City of Lancaster was being truthful and it was another case
of trying to avert his rights to enter the Lancaster City Rehab Program. The City of Lancaster has
failed to present any such requirement in writing and Stan Caterbone pressed the employees on why
such requirement is omitted on the website. That is not fair and may be A violation of HUD policy.
06/22/2015

New Central Air Conditioner and Handler


Installed on June 22, 2015 by Schwanger Bros.
New Roof

TOTAL DUE:

Advanced
Stan
J. Caterbone
Media Group
Chapter
Recievables
11

Page
Page24
67ofof119
355

$2,675.00
$2,700.00

$5,375.00

Tuesday,September
January 26,
3, 2016
2015

Advanced Media Group 2007

Aged Receivables
As of May 31, 2007
Filter Criteria includes: Report order is by ID. Report is printed in Detail Format.
Customer ID
Customer
Contact
Telephone 1

Invoice No

0001
S.N. Lombardo Development
Ralph Mazzocchi
717-394-3422

7001

0 - 30

31 - 60

0001
S.N. Lombardo Development

0002
Yolanda Caterbone

7002

0002
Yolanda Caterbone

0003
High Industries
S. Dale High

7003

0003
High Industries

0004
Fulton Bank/Lanc Co Sheriff
Terry Bergman

7004

0004
Fulton Bank/Lanc Co Sheriff

0005
Drew Anthon - Eden Resort Inn
Drew Anthon

7005

0005
Drew Anthon - Eden Resort Inn

0006
Harleysville Insurance Company
Claims Department

7006
7007

0006
Harleysville Insurance Compan

0007

7008

Lancaster
County Treasurer
Stan
J. Caterbone
Chapter 11
ADVANCED MEDIA GROUP

61 - 90

Over 90 days

Amount Due

1,871.00

1,871.00

1,871.00

1,871.00

1,545.00

1,545.00

1,545.00

1,545.00

15,221.40

15,221.40

15,221.40

15,221.40

67,147.45

67,147.45

67,147.45

67,147.45

24,118.00

24,118.00

24,118.00

24,118.00

7,898.19
6,878.25

7,898.19
6,878.25

14,776.44

14,776.44

944.90

944.90

Page 68 of 355
Page 1 of 39

Tuesday, January 26, 2016


05.17.2007

Advanced Media Group 2007

Aged Receivables
As of May 31, 2007
Filter Criteria includes: Report order is by ID. Report is printed in Detail Format.
Customer ID
Customer
Contact
Telephone 1

Invoice No

0 - 30

31 - 60

61 - 90

Over 90 days

Amount Due

Chris Reed

0007
Lancaster County Treasurer

Report Total

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

944.90

106,986.79

944.90

16,766.40

Page 69 of 355
Page 2 of 39

1,871.00

125,624.19

Tuesday, January 26, 2016


05.17.2007

Invoice

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7001

Invoice Date:
Mar 12, 2007

Voice:
Fax:

Page:

717-799-5915
717-427-1621

1
Duplicate

Ship To

Sold To:
S.N. Lombardo Development
c/o Ralph Mazzochi
33 Rider Avenue
Lancaster, PA 17603

______________________________________________________________________________________________
|
|
|
|
Customer ID
Customer PO
Payment Terms
|______________________________________________________________________________________________
|
|
|
|
|
|
|
0001
C.O.D.
|______________________________________________________________________________________________
|
|
|
|
|
|
|
|
Sales Rep
Shipping Method
Ship Date
Due Date
|
|______________________________________________________________________________________________
|
|
|
| 3/12/07
USPS Priorty
______________________________________________________________________________________________
|
______________________________________________________________________________________________
|______________________________________________________________________________________________
|
|
| Extension
|
Quantity |
Item
Description
Unit Price
|
|
|
|
|
|
30.00 |Hours
75.00 |
2,250.00 |
|
| Management Consulting Hours
|
|
|
| for Restuarant Development
|
|
|
|
|
| Summary for James Street
|
|
|
|
|
| District Zoning Meeting on
|
|
|
|
|
|
|
|
|
March
13,
2007
|
|
|
|
|
|
-149.00 |
|
|
| Credit for fees paid in
|
|
|
|
| advanced including $100.00 in
|
|
|
|
|
| cash on March 9, 2007 and
|
|
|
|
|
| $49.00 in equipment with the
|
|
|
|
|
|
|
|
|
|
|
| purchase of a thumb drive on
|
|
|
|
|
| March 10,2007
|
|
|
|
|
| Fee includes all proofing and
|
|
|
|
|
| edits that were omitted from
|
|
|
|
|
| final print on March 12 2007
|
|
|
|
|
|
|
|
|
|
|
| at Office Max. The file
|
|
|
|
|
| Charollote Street Proposal
|
|
|
|
|
| March..amended.pdf
|
|
|
|
|
| that was given to Ralph
|
|
|
|
|
| Mazzocchi on March 11, 2007
|
|
|
|
|
|
|
|
|
for
final
print
was
not
the
|
|
|
|
|
|
|
|
| file that the final print was
|
|
|
|
|
| taken from.
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|______________________________________________________________________________________________
|
|
|
|
|

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 70 of 355
Page 3 of 39

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

Continued
Continued
Continued

TOTAL

Continued

Continued

Tuesday, January 26, 2016


05.17.2007

Invoice

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7001

Invoice Date:
Mar 12, 2007

Voice:
Fax:

Page:

717-799-5915
717-427-1621

2
Duplicate

Ship To

Sold To:
S.N. Lombardo Development
c/o Ralph Mazzochi
33 Rider Avenue
Lancaster, PA 17603

______________________________________________________________________________________________
|
|
|
|
Customer ID
Customer PO
Payment Terms
|______________________________________________________________________________________________
|
|
|
|
|
|
|
0001
C.O.D.
|______________________________________________________________________________________________
|
|
|
|
|
|
|
|
Sales Rep
Shipping Method
Ship Date
Due Date
|
|______________________________________________________________________________________________
|
|
|
| 3/12/07
USPS Priorty
______________________________________________________________________________________________
|
______________________________________________________________________________________________
|______________________________________________________________________________________________
|
|
| Extension
|
Quantity |
Item
Description
Unit Price
|
|
|
|
|
|
-230.00 |
|
|
| March 24, 2007 Raplph Mazzochi
|
|
|
|
| Payment from Copy Max, did not
|
|
|
|
|
| return proposals - Total Paid
|
|
|
|
|
| To Date $379.00.00
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
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|
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|
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|
|
|
|
|
|
|
|
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|______________________________________________________________________________________________
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Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 71 of 355
Page 4 of 39

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

1,871.00

TOTAL

$1,871.00

1,871.00
0.00

Tuesday, January 26, 2016


05.17.2007

Invoice
Invoice Number:

Advanced Media Group 2007


1250 Fremont Street
Lancaster, PA 17603
USA
Voice:
Fax:

7002
Invoice Date:

Apr 9, 2007
Page:

[email protected]
717-427-1621

Duplicate
Sold To:

Ship to:

Yolanda Caterbone
7960 N.W.
201 Terrace
Hialeah, FL 33015
Customer ID

Customer PO

Payment Terms

0002

C.O.D.

Sales Rep ID

Shipping Method

Ship Date

USPS Priorty
Quantity

Item

Description

Unit Price

May to October 2005 1250


Fremont Street Grass
Cuttins 4 Per Month At
$15.00 Per Cutting
May to October 2006 1250
Fremont Street Grass
Cuttins 4 Per Month At
$15.00 Per Cutting
December to March 2005
1250 Fremont Street Snow
Removal 4 Times At $20.00
December to March 2006
1250 Fremont Street Snow
Removal 4 Times At $20.00
December to March 2007
1250 Fremont Street Snow
Removal 4 Times At $20.00
March 2007 Seal Hardwood
Floors
March 2007 Spray Paint
Oven Hood
April 2007 Trim Shrubs

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Due Date

4/9/07

Page 72 of 355
Page 5 of 39

Extension

300.00

300.00

80.00
80.00
80.00
75.00
15.00
65.00

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

Continued
Continued
Continued
Continued

TOTAL

Continued

Tuesday, January 26, 2016


05.17.2007

Invoice
Invoice Number:

Advanced Media Group 2007


1250 Fremont Street
Lancaster, PA 17603
USA
Voice:
Fax:

7002
Invoice Date:

Apr 9, 2007
Page:

[email protected]
717-427-1621

Duplicate
Sold To:

Ship to:

Yolanda Caterbone
7960 N.W.
201 Terrace
Hialeah, FL 33015
Customer ID

Customer PO

Payment Terms

0002

C.O.D.

Sales Rep ID

Shipping Method

Ship Date

USPS Priorty
Quantity

Item

Description

Unit Price

Front and Back


Fall 2005 1250 Fremont
Street Cleanup Leaves
Fall 2006 1250 Fremont
Street Cleanup Leaves
March 2007 1250 Fremont
Street Install Stairway
Oriental Rug Runner on
Steps
March 2007 Oriental Rug
Stair Runner
Springl 2006 Trim Lilac &
Disposal

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Due Date

4/9/07

Page 73 of 355
Page 6 of 39

Extension

150.00
150.00
75.00

50.00
125.00

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

1,545.00
0.00

TOTAL

1,545.00

1,545.00

Tuesday, January 26, 2016


05.17.2007

Invoice

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7003

Invoice Date:
Apr 27, 2007

Voice:
Fax:

[email protected]
717-427-1621

Page:
1

Ship To

Sold To:
High Industries
1833 William Penn Way
Greenfiled Industrial Park
Lancaster, PA 17601

______________________________________________________________________________________________
|
|
|
|
Customer ID
Customer PO
Payment Terms
|______________________________________________________________________________________________
|
|
|
|
|
|
|
0003
C.O.D.
|______________________________________________________________________________________________
|
|
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|
Sales Rep
Shipping Method
Ship Date
Due Date
|
|______________________________________________________________________________________________
|
|
|
| 4/27/07
USPS Priorty
______________________________________________________________________________________________
|
______________________________________________________________________________________________
|______________________________________________________________________________________________
|
|
| Extension
|
Quantity |
Item
Description
Unit Price
|
|
|
|
|
|
5,200.00 |
|
|
| 1991 Past Due Invoice for
|
|
|
|
| CD-ROM mastering and
|
|
|
|
|
| replication from NIST,
|
|
|
|
|
| Commodore (Titus), AMP, etc.,
|
|
|
|
|
|
|
|
|
Accumulated
Interest
to
Date
10,021.40 |
|
|
|
|
|
|
|
| at 10% per Annum Compounded
|
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|
|
|
| Annually.
|
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|______________________________________________________________________________________________
|
|
|
|
|

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 74 of 355
Page 7 of 39

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

15,221.40

TOTAL

$15,221.40

15,221.40
0.00

Tuesday, January 26, 2016


05.17.2007

bom(>:3c! 0 , s Prujryt
~
M:ln.cycr~

Section 3189 Federal iaise Claim Act

US ijsstnc! Ccurt For The Eastern Distrlct 01 Pennsylvana

C c m ~ a c Drsc
t
Manr;f:,clutet-..

'1'ERhqS: T h i s agreemerit \xiween Anicriian Hclix 'i'echi~oio~yCorporation. Inc., 2nd Sta:? J.


Catertmnc, b t h of 1857 Ct2loni;ri Viilagc Lane. l;rn~:isrcr, PA 17601 wi!l be valid until f;ebrua~y
I, lWl, at which time h t h garties I ~ Y ArLe[!,o:i:irz
~
s nev, :ig;-ce.me.ittksr ihc rem:tinder of the ymr.
In the ivent that n new agreement is not srr:lcd upon. sl>i:+ agrecmeni will prevail until the new
agreement is implen~ented. Each party wn wiihi!rau. knrri his agtrt:ment by suhn~i:~ing
a 0 day
notice iil writing. to tile ol11c1party.
Any contracts awarded from prospect5 and rnarktiti~gefferts up fc? fehruan. 1, 1'991, or une'l
,I B new
?.ontract is negi~tiated,will tie adminIsrcrcd under his ageetneni. All zanirncts must have prior
approval by David D. Oering prior io ncxx:ptanct: by A r n i r i c i n Ileiir.
Under the termination of a relationship, Stan J. Caterbone. wiii ix: en~itlrdin ail ct~mmissions2nd
revenues mtitld herein for contrac:i ct~iri.!~!!y~ i n d e rd?i.-iopm;nr. and agees to cx%n-.pietra!]
necessary requirements of the said projertz from end tn znii.

CD-ROM Raw Disc Replication A r r ~ c r i c u nFiclix will :-cccivi: Oi!% o:^he raw disc price.
Stan 3. Caterbone will recrivc IU'.'? of ~ i i cr;,ii d i u [ ) r i t e . 411 pricing beiw $1.00 will be
negotiated on a case ?yu s e ba.& Arneric:in Wdir u-ill hc paranfeed a minimunl prke
of $ '85 on dl projects. Any :naskc;ing cc~sk. above a wash to American ileiix. wig be
recovered against repliwtion com~rris.iiocs.

Mlutedng holrrian I3clix wLil receive 15<;: of r h c iie.r msrgin of the prcmastering and
data preparation services pcrfornicd by Stir~iJ. (Lircl-lirme, As:,ericrn Wdix is guaranteed
at l a s t a net wash of all nias!erir~jic:)sts.
g of projects. Any past due accounts over 90

President, American Helix

Property of Aduance Media Group

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 75 of 355
Page 8 of 39

Tuesday, January 26, 2016


05.17.2007

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 76 of 355
Page 9 of 39

Tuesday, January 26, 2016


05.17.2007

Invoice

Advanced Media Group


1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7004

Invoice Date:
May 13, 2007

Voice:
Fax:

Page:

717-799-5915
717-427-1621

1
Duplicate

Sold To:

Ship To

Fulton Bank/Lanc Co Sheriff


One Penn Square
Lancaster, PA 17602

Lancaster County Sheriff Dept.


Lancaster County Courthouse
50 North Duke Street
Lancaster, PA 17602

______________________________________________________________________________________________
|
|
|
|
Customer ID
Customer PO
Payment Terms
|______________________________________________________________________________________________
|
|
|
|
|
|
|
0004
C.O.D.
|______________________________________________________________________________________________
|
|
|
|
|
|
|
|
Sales Rep
Shipping Method
Ship Date
Due Date
|
|______________________________________________________________________________________________
|
|
|
| 5/13/07
USPS Priorty
______________________________________________________________________________________________
|
______________________________________________________________________________________________
|______________________________________________________________________________________________
|
|
| Extension
|
Quantity |
Item
Description
Unit Price
|
|
|
|
|
|
|
|
| 220 Stone Hill Road Property |
|
|
|
|
| Fair Market Value Less Sales
|
|
|
|
|
| Proceeds
|
|
|
|
|
| Average Fair Market Value per
|
|
|
217,454.25 |
|
|
|
|
|
Fulton
Bank
Form
1099-A;
|
|
|
|
|
|
|
|
| Parula Property Realty
|
|
|
|
|
| Transfer Tax Statement of
|
|
|
|
|
| Value; Real Estate Appraisals
|
|
|
|
|
| December 20, 2006 Sheriff Sale
|
| -156,000.00 |
|
|
|
|
|
|
|
|
| Auction Price
|
|
|
17,306.00 |
|
|
| February 1, 2007 Disbursement
|
|
|
|
| Check To Stan J. Caterbone
|
|
|
|
|
| Barley Snyder Lecal Fees &
|
|
-9,612.80 |
|
|
| Costs
|
|
|
|
|
|
|
|
|
-2,000.00 |
|
|
| Sheriff Dept Fees
|
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|______________________________________________________________________________________________
|
|
|
|
|

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

Check No:

TOTAL

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 77 of 355
Page 10 of 39

67,147.45
67,147.45
0.00
$67,147.45

Tuesday, January 26, 2016


05.17.2007

220 Stone Hill Road Documented


Fair Market Values In Year 2006
Average From 4 Fair Market Values = $217,454.25

1.

220 Stone Hill Rd, Conestoga, PA 17516


ZESTIMATE: $213,999
Value Range: $194,739 - $301,739

02/24/2006

1.

220 Stone Hill Rd, Conestoga, PA 17516


ZESTIMATE: $220,866
09/21/2006

2.

FULTON BANK FORM 1099-A


Fair Market Value of Property (Box 4): $250,000
Tax Year 2006

3.

REALTY TRANSFER TAX


STATEMENT OF VALUE
Box 6. Fair Market Value = 184,952.00
$ 217,454.25 Average Fair Market Value
$ 156,000.00 Sheriff Sale Price of Auction
$ 61,454.25 Fair Market Value Not Realized (Extortion)
$ 89,125.78 Mortgage Balance As of June 2005
$ 44,111,04 Total Attorney Fees and Costs
$ 20,000.00 Estimated Overcharge By Barley Snyder, LLC
$

3,000.00 Estimated Overcharge By Sheriffs Department

$ 84,454.25 Amount Owed By Fulton Bank And Lancaster


County Sheriffs Department
$ 17,306.80 Amount of Disbursement
$ 67,147.45 Balance Due

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 78 of 355
Page 11 of 39

Tuesday, January 26, 2016


05.17.2007

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 79 of 355
Page 12 of 39

Tuesday, January 26, 2016


05.17.2007

Zillow.com - Data & Graphs - Real Estate Value, Local Real Estate Trends

http://www.zillow.com/Charts.z?chartDuration=1year&zpid=9692127

220 Stone Hill Rd, Conestoga, PA 17516


ZESTIMATE:

$213,999

Value Range: $194,739 - $301,739

Market Value Change Show: $ Dollar | % Percentage


Time frame: 1yr| 5yr| 10yr|

Compare:
This home
17516
Conestoga
Lancaster
PA
USA
Show sales
Zestimate Rankings
This home at $213,999 is valued higher than:

Zindex (Median Zestimate)

64% of homes in 17516 ZIP code

$186,718

63% of homes in Conestoga

$186,674

72% of homes in Lancaster County

$169,051

65% of homes in PA state

$186,373

40% of homes in United States

$261,421

Stan J. Caterbone Chapter 11


1 of 2
ADVANCED MEDIA GROUP

Page 80 of 355
Page 13 of 39

Tuesday, January 26, 2016


2/24/2006 4:12 PM
05.17.2007

Zillow.com - Data & Graphs - Real Estate Value, Local Real Estate Trends

http://www.zillow.com/Charts.z?chartDuration=1year&zpid=9692127

Historical Value Trends Show as: n


i% n
j
k
l
m
j$ n
k
l
m
j % annualized
k
l
m
Past:

This home

17516

Conestoga

Lancaster

PA

US

30 days

0.7%

0.9%

1.3%

0.7%

-13%

0.6%

1 year

17%

15%

15%

12%

4.4%

21%

5 years

63%

57%

58%

52%

77%

90%

10 years

--

--

--

--

111%

104%

Last sale ()

--

--

--

--

--

--

Tax Information
2005
Property tax:

$2,519

Assessed value bldgs:

$96,400

Assessed value land:

$55,200

Total assessed value:

$151,600

Sale History
No sale history is available for this home
2006 Zillow.com, All Rights Reserved

Stan J. Caterbone Chapter 11


2 of 2
ADVANCED MEDIA GROUP

Page 81 of 355
Page 14 of 39

Tuesday, January 26, 2016


2/24/2006 4:12 PM
05.17.2007

Zillow - 220 Stone Hill Rd, Conestoga, PA 17516

1 of 4

http://www.zillow.com/HomeDetails.htm?city=Conestoga&state=PA&z...

Welcome amgroup01! (Not amgroup01? Sign out.)

220 Stone Hill Rd, Conestoga, PA 17516


ZESTIMATE: $220,866

View large map


View maps side-by-side
Map comparable homes

Home Facts

Public Facts
Owner's Facts

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 82 of 355
Page 15 of 39

Tuesday, January 26, 2016


05.17.2007

9/21/2006 11:58 AM

Zillow - 220 Stone Hill Rd, Conestoga, PA 17516

2 of 4

http://www.zillow.com/HomeDetails.htm?city=Conestoga&state=PA&z...

Home Facts
Owner Facts
Residence:

Single family

Bedrooms:

Bathrooms:

2.0

Sq ft:

1,060

Lot size:

82,764 sq ft / 1.90 acres

Year built:

1995

Year updated:

--

# Stories:

Total rooms:

Basement:

Finished

Roof type:

Asphalt

Primary exterior material:

--

View:

--

Primary parking type:

Garage - Attached

Covered parking spaces:

--

Primary heating source:

--

Primary heating system:

Heat pump

Primary cooling system:

Central

Architectural style:

--

Fireplace:

Yes

Swimming pool:

--

Waterfront:

--

County:

Lancaster

Parcel #: 1203252300000
Zillow Home ID:

9692127

Legal description: --

Are you the owner?


Learn More
Learn More

Zestimate: $220,866
Show fewer home facts

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 83 of 355
Page 16 of 39

Tuesday, January 26, 2016


05.17.2007

9/21/2006 11:58 AM

Zillow.com - Real Estate Search Results

Page 1 of 2

Showing 10 comparable recent sales for 220 Stone Hill Rd, Conestoga, PA 17516

2006 NAVTEQ | 2006 GlobeXplorer and Suppliers | 2006 Proxix


Comparable
recent sales

Sold
Price

Date Sold

BR BA Home Lot
Home
(sq ft) (sq ft) $/sq
ft

Lot
$/sq
ft

Year
Built

Dist
(mi)

220 Stone
Hill Rd

--

--

1,060

82,764 $196

$3

1995

--

213 Stone Hill


Rd

$208,000 05/15/2006 3

1,096

82,764 $190

$3

1998

0.08

561 Stone Hill


Rd

$260,000 01/24/2006 3

1.5 1,304

82,764 $199

$3

1997

0.43

101 W Elm St

$210,000 06/01/2006 3

1.5 1,516

19,602 $139

$11

1974

0.48

15 Orchard Ln

$163,000 04/10/2006 4

1.5 1,028

16,552 $159

$10

1985

0.41

5 Orchard Ln

$162,500 07/06/2005 3

1.5 994

16,552 $163

$10

1984

0.33

3455 Main St

$182,900 10/04/2005 4

1,456

16,988 $126

$11

1930

0.35

410 Kendig Rd

$175,000 01/05/2006 3

1,272

30,927 $138

$6

1963

0.67

2834 Main St

$129,000 11/30/2005 3

1,105

21,780 $117

$6

1942

0.56

24 E Elm St

$143,000 07/22/2005 3

1,344

17,424 $106

$8

1946

0.65

70 River
Corner Rd

$159,900 10/12/2005 4

1,841

8,276

$19

1890

0.45

Averages

$179,330 --

1.5 1,296

$9

--

--

$87

31,363 $142

Choose your comps with My Zestimator

Stan J. Caterbone Chapter 11

Page 84 of 355
Tuesday, January 26, 2016
http://www.zillow.com/search/Search.htm?expand=false&mode=comps&zpid=9692127
7/10/2006

ADVANCED MEDIA GROUP

Page 17 of 39

05.17.2007

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 85 of 355
Page 18 of 39

Tuesday, January 26, 2016


05.17.2007

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 86 of 355
Page 19 of 39

Tuesday, January 26, 2016


05.17.2007

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 87 of 355
Page 20 of 39

Tuesday, January 26, 2016


05.17.2007

RW-183 EX (344)

RECORDER'S USE ONLY

REALTY TRANSFER TAX


STATEMENT OF VALUE

COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF REVENUE
BUREAU OF INDIVIDUAL TAXES
DEPT. 280603
HARRISBURG, PA 17128-0603

\ ,t~q.ga

ctm
i ,,

SS~ZIOY

Number
Page Number

See Reverse for Instructions

a\I \

Date Recorded

01

Complete each section and fite in duplicate with Recorder of Deeds when (1) the full valuelconsideration is not set forth in the deed, (2) when the
deed is without consideration, or by gift, or (3) a tax exemption is claimed. A Statement of Value is not required if the transfer is wholly exempt from
tax based on: (1) family relationship or (2) public utility easement. If more space is needed, attach additional sheet{s).

A. CORRESPONDENT - All inquiries may be directed to the following person:


Name

Telephone Number.

Shelby Shepro

street ~ddress

City

100 South 7th Street

8. TRANSFER DATA

717-859-3311 x 14
State

Akron

PA

Date of Acceptance of Document

17501

I ~ a r u l a ' ~ r o ~ e r tLLC.
ies,

anc caster County

1 Street Address
100 South 7th Street

Street Address

50 N. Duke Street
State

City

Lancaster
C. PROPERlY LOCATION

PA

Zip code---

State

City

Akron

17602

Street Address

PA

Zip Code

17501

City, Township, Borough

220 Stone Hi Road

Conestoga Township

County

School D i s M

Lancaster
D. VALUATlON DATA

Penn Manor

1. Actual Cash Consideration

2. Other Consideration

3. Total Consideration

5. Common Level Ratio Factor

6. Fair Market Value

Tax Parcel Number

120-32523-0-0000

+0

156,000
<. County Assessed Value
151,600.00
E. EXEMPTION DATA

= 156,000

x 1.22

l a . Amount of Exemption Claimed

Zip Code

1-5-07

I Grantee(s)/Lessee(s)

Grantor(sYLessor(s)

Sheriff of

= 184,952.00

1b. Percentage of Interest Conveyed

100

2% FMV~S3t699.04

--

2. Check Appropriate Box Below for Exemption Claimed

Will or intestate succession


(Name of Decedent)

(Estate File Number)

Transfer to Industrial Development Agency.


Transfer to a trust. (Attach complete copy of trust agreement identifying all beneficiaries.)

--

Transfer between principal and agent. (Attach complete copy of agencylstraw party agreement.)
Transfers to the Commonwealth, the United States and Instrumentalitiesby gift, dedication, condemnation or in lieu
of condemnation. (If condemnation or in lieu of condemnation, attach copy of resolution.)
Transfer from mortgagor to a holder of a mortgage in default. Mortgage Book Number
, Page Number
Corrective or confirmatory deed. (Attach complete copy of the prior deed being corrected or confirmed.)
Statutory corporate consolidation, merger or division. (Attach copy of articles.)
Other (Please explain exemption claimed, if other than listed above.)

--

--

Under penalties of law, I declare that Ihave examlned this Statement, Including accompanylng Information, and to the best
of my kn~wledgeand bellef, it i s true, correct end complete.

COMLETE
FOR^

FAILURE TO
THIS
PROPERLY OR AT~ACHAPPLICABLE DOCUMENTATION MAY RESULT IN
THE RECORDER'S REFUSAL TO RECORD THE DEED.

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 88 of 355
Page 21 of 39

Tuesday, January 26, 2016


05.17.2007

LISTENING.

FEDERAL ID NUMBER: 23 92 421


DIRECT INOUIRIBS TO: 880-!85-8664
P.0.Box 4887, hais&, PA 176044887

YOUR TAXPAYRR
I
2 8 ~ 4 NUMBER
6 - 0 9 5 9:

AMLEY J CATIZBBOEE
1
1
0 STONE HILL RD
CONESTOGA PA 17516-9543

TAX YEAR 2006

ILITY

PD COHESTOGA PA 1 7 k p

CIPAL OUTSTANDING (BOX 2):


250,000.00

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 89 of 355
Page 22 of 39

BRAN^

BOX 5 ) : YES

00001

8 ,368.53

Tuesday, January 26, 2016


05.17.2007

Invoice
Advanced Media Group 2007
1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7005

Invoice Date:
May 13, 2007

[email protected]
717-427-1621

Voice:
Fax:

Page:
1
Duplicate

Sold To:

Ship to:

Drew Anthon - Eden Resort Inn


222 Eden Road
Lancaster, PA 17601

Customer ID

Customer PO

Payment Terms

0005

C.O.D.

Sales Rep ID

Shipping Method

Due Date

Ship Date

USPS Priorty

Quantity

Item

5/13/07

Description

Unit Price

Medical Expenses, Legal Costs,


and Adminstration Costs
Associated with CI-05-03644

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 90 of 355
Page 23 of 39

Extension
24,118.00

24,118.00

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

24,118.00
0.00

TOTAL

24,118.00

Tuesday, January 26, 2016


05.17.2007

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA


CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road
Lancaster, PA 17601
Defendant
NOTICE
ITEMS FOR CLAIM
Plaintiff files the following ITEMS FOR CLAIM.
1.

Plaintiff filed the civil action in good faith and did suffer substantial stress related health
problems that that were triggered when the Plaintiff read the Lancaster Newspapers Intelligencer
article regarding the same (Tea Party) as well as business financial losses.

2.

Medical Expenses from Lower Back Pain Due To Stress Excelsior Place Business Plan Fees UPS Store Lost Opportunity SUB TOTAL
ATTORNEY FEES AND ADMINISTRATION TOTAL -

$5,184.00
$7,000.00
$10,000.00
___________
$22,118.00
2,000.00
$24,118.00

I hereby certify that appropriate Notices Items For Claim has been mailed in accordance with PA R.C.P.
237.1 on the dales indicated on the Notices.

STAN J. CATERBONE
PROJECT HOPE
ADVANCED MEDIA GROUP
By:______________________________
STAN J. CATERBONE, Pro Se
DREW ANTHON,
(MA)EDEN RESORT INN
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 And that the last know11 address of the
Defendant is: 222 Eden Road, Lancaster, PA 17601
Stan J. Caterbone Chapter 11
ADVANCED MEDIA GROUP

Page 91 of 355
Page 24 of 39

Tuesday, January 26, 2016


05.17.2007

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA


CIVIL DIVISION

PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
NOTICE OF JUDGMENT OR ORDER

TO:

( ) Plaintiff
(XX) Defendant
( )Garnishee
You are hereby notified that the following
Order or Judgment was entered against you
On January 20, 2006
(XX) Assumpsit Judgment in the amount
of $11,000 plus costs.
( )

Trespass Judgment in the amount


of $_________ plus costs.

( )
If not satisfied within sixty (60)
days, your motor vehicle operator'$ license and/or registration
will be suspended by the Department of Transportation, Bureau
of Traffic Safety, Harrisburg, PA
(XX) Entry of Judgment of
( ) Court Order
( ) Non-Pros
( ) Confession
(xx) Default
( ) Verdict
( ) Arbitration
Award
Prothonotary
By: ______________________________
PROTHONOTARY (OR DEPUTY)
DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601
Plaintiffs address is:
Stan J. Caterbone, 220 Stone Hill Road, Conestoga, PA 17516 717-799-5915
Stan J. Caterbone Chapter 11
ADVANCED MEDIA GROUP

Page 92 of 355
Page 25 of 39

Tuesday, January 26, 2016


05.17.2007

IN THE COURT OF COMMON PLEAS LANCASTER COUNTY, PENNSYLVANIA


CIVIL DIVISION
PROJECT HOPE
ADVANCED MEDIA GROUP
Plaintiff

Case No. CI-05-03644

DREW ANTHON,
(MA)EDEN RESORT INN
Defendant
IMPORTANT NOTICE
TO:

DREW ANTHON,
(MA)EDEN RESORT INN
222 Eden Road, Lancaster, PA 17601

Date of Notice: January 20, 2006


YOU ARE IN DEFAULT BECAUSE YOU HAVE FAILED TO ENTER A WRITTEN
APPEARANCE PERSONALLY OR BY ATTORNEY AND FILE IN WRITING WITH THE COURT YOUR
DEFENSES OR OBJECTIONS TO THE CLAIMS SET FORTH AGAINST YOU UNLESS YOU ACT
WITHIN TEN DAYS FROM THE DATE OF THIS NOTICE, A JUDGMENT MAY BE ENTERED
AGAINST YOU WITHOUT A HEARING AND YOU MAY LOSE YOUR PROPERTY OR OTHER
IMPORTANT RIGHTS. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO
NOT HAVE A LAWYER, GO TO OR TELEPHONE THE FOLLOWING OFFICE SET FORTH BELOW.
THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU
CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TI PROVIDE YOU WITH
INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS
AT A REDUCED FEE OR NO FEE.
LANCASTER COUNTY COURT ADMINISTRATOR'S OFFICE
50 NORTH DUKE STREET
P.O. BOX 3480
LANCASTER, PA 17602
(717) 299-8041
BY: _______________________________
STAN J. CATERBONE
PROJECT HOPE/ADVANCED MEDIA GROUP
220 Stone Hill Road
Conestoga, PA 17516
717-799-5915

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 93 of 355
Page 26 of 39

Tuesday, January 26, 2016


05.17.2007

make the following civil complaint against the defendant, Drew Anthon and Eden Resort Inn and Conference
Center:
Plaintiff alleges Drew Anthon and the Eden Resort Inn and Conference Center has colluded to sabotage the
Downtown Lancaster Convention Center project by organizing a formal request and soliciting support to
certain Lancaster County Hoteliers to voluntarily withhold the payment of the Lancaster County Hotel Room
Tax, thereby placing the financial interests of the Business Plan for the Excelsior Property of East King Street
and the Rights to develop a UPS Store in or around the Downtown Lancaster Convention Center at extreme
risk.
Plaintiff will argue that such financial risk is causing mental stress and duress, that otherwise would not be
present, had the defendant not engaged the above-mentioned activities.

Plaintiff seeks the Commonwealth of Pennsylvania to place a sees and desist order against the defendants
actions to withhold the Hotel tax until the defendants can prove to the Commonwealth the said actions are in the
best interests of the Plaintiffs interests and those of all major stakeholders of the proposed Downtown Lancaster
Convention Center, including the School District of Lancaster, the City of Lancaster, the County of Lancaster,
Penn Square Partners, as well as others. Thus the defendants must prove that the Downtown Lancaster
Convention Center will fail.
Plaintiff submits the following exhibits for considerations of the Courts:

The major pages of the website of Advanced Media Group


The Excelsior Place Business Plan
The Agreement Between Art Ward, Owner of the UPS Store and Stan Caterbone

Plaintiff seeks a jury trial with damages in excess of $10,000.

Stan J. Caterbone/Project Hope/Advanced Media Group


Dated: April 26, 2005

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 94 of 355
Page 27 of 39

Tuesday, January 26, 2016


05.17.2007

Businessman, irked by hotelier action, files suit


By Justin Quinn
Intelligencer Journal
Published: May 06, 2005 9:47 AM EST

LANCASTER COUNTY, PA - A local businessman filed a $100,000 lawsuit last


month against Drew Anthon, owner of Eden Resort Inn and Conference Center, claiming
Anthon "colluded to sabotage" the proposed Lancaster County Convention Center by
announcing his intention to withhold the county hotel room tax.
Conestoga resident Stan J. Caterbone is asking that a local judge place a "sees (sic)
and desist order" on Anthon and the hotel to prevent them from withholding the room
tax.
The suit was filed April 26, the day the Intelligencer Journal reported Anthon and
several other hoteliers were threatening to withhold payment of the room tax, most of
which goes toward a hotel and convention center proposed for Penn Square. The next
room tax payment is due May 26.
Caterbone is founder of Advanced Media Group, 1857 Colonial Village Lane, an
information technologies company specializing in optical publishing. He claims in the
lawsuit that Anthon's actions place "at extreme risk" Caterbone's plans to develop a UPS
store and an office complex called "Excelsior Place" across from the proposed convention
center. "Plaintiff will argue that such financial risk is causing mental stress and duress that
otherwise would not be present, had the defendant not engaged (in) the above-mentioned
activities," Caterbone says in the suit.
The suit asks for a court order to force the hoteliers to pay the tax "until the
defendants can prove to the commonwealth the said actions are in the best interests of
the (plaintiff) and those of all major stakeholders of the proposed downtown Lancaster
convention center, including School District of Lancaster, the City of Lancaster, the County
of Lancaster, Penn Square Partners, as well as others. Thus, the defendants must prove
that the downtown Lancaster convention center will fail."
A person who answered the phone at the number listed in the lawsuit as
Caterbone's did not identify himself. "All the information is public," the man said when
asked about the suit. "You can go there."
As exhibits, the lawsuit includes Web pages from Caterbone's company and a bound
volume titled "The Excelsior Place Business Plan."
The suit also includes a handwritten agreement between Caterbone and Art Ward,
owner of the UPS Store. Anthon did not return a reporter's phone calls. A judge has not
been assigned to the case.

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 95 of 355
Page 28 of 39

Tuesday, January 26, 2016


05.17.2007

Invoice
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7006

Invoice Date:
May 13, 2007

717-799-5915
717-427-1621

Voice:
Fax:

Page:
1
Duplicate

Sold To:

Ship to:

Harleysville Insurance Company


308 Harper Drive
P.O. Box 1016
Moorestown, NJ 08057-0916

Customer ID

Customer PO

Payment Terms

0006

C.O.D.

Sales Rep ID

Shipping Method

Due Date

Ship Date

USPS Priorty

Quantity

Item

5/13/07

Description

Unit Price

AMG Consulting Income


March 16, 2006 Claim Number 2F
MO-658554-U XC Aainst
Homeowners Policy Number
HOA193468
April 12th, 2006 Claim Number
MO-654619-U XC Against
Homeowners Policy Number
HOA193468

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 96 of 355
Page 29 of 39

Extension
7,898.19

7,898.19

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

7,898.19
0.00

TOTAL

7,898.19

Tuesday, January 26, 2016


05.17.2007

SCHEDULE OF ARTICLES STOLEN, DAMAGED OR DESTROYED


Work In Progress Report As Of April 19 2006 - Updated May 18 2006 3:00 am

INSURED: Stanley Caterbone


Page 1 of 2

CLAIM NUMBER: M0ITEM


(Give Full Description)
Iomega Zip Drive

WHERE
PURCHASED
Office Max

DATE
PURCHAS
ED

COST TO
REPLACE

COST TO
REPAIR

1999

150.00

150.00

1991 Dodge Pickup Dakota Registration City Line Auto Sales


Papers
Compaq Desktop SR1300NX
Cyberwarehouse, Lancaster, PA

Sep-05

35.00

35.00

May-05

1,000.00

500.00

Lancaster Barnstormers Cap

Barnstormers Clipper Stadium

May-05

25.00

25.00

Sony Digital Recorder ICD-B120

Kmart, Fuitville Pike, Lancaster,


PA
GR Michells, Willow Street, PA

Mar-06

39.99

0.00

Mar-06

10.00

10.00

598.00

598.00

1 20 Gal Propane Tank


Rheam RH0900B169002 Hot Water
Heater
Vector Sport Super Spot VEC127Y

Hijoka Plumbing

2000

Walmart

2000

37.99

37.99

SunSetter Rain Guards

SunSetter Online

Apr-05

278.00

0.00

DVD/RW Drive

Cyberwarehouse, Lancaster, PA

89.99

89.99

DEPRECIATION

ALLOWED

AMOUNT
CLAIMED

Oct-05
1 4X8 Roofing Sheating

Lowes

Mar-06

9.99

9.99

HP Laptop N5101

Ebay

Nov-00

1,400.00

1,400.00

SunSetter 16X10 Awning

SunSetter Online

Apr-02

1,600.00

1,438.00

Apple Video 60 GB Ipod

Circuit City

Dec-06

425.00

0.00

33.70

33.70

10 pcs 1X4X8 Pressure Treated Lumber Lowes


Aug-05

4,327.67
LESS
DEDUCTIBLE
Total Page 1

$5,732.66

State law requires us to include the following statement - Any person who knowingly files a statement of claim containing any
false or misleading information is subject to criminal and civil penalties.

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 97 of 355
Page 30 of 39

Tuesday, January 26, 2016


05.17.2007

SCHEDULE OF ARTICLES STOLEN, DAMAGED OR DESTROYED


Work In Progress Report As Of April 19 2006 - Updated May 18 2006 3:00 am

INSURED: Stanley Caterbone


CLAIM NUMBER: M0ITEM
(Give Full Description)

WHERE
PURCHASED

CD Rom Drive HP Desktop Computer

Cyberwarehouse, Lancaster, PA

Sony 19" Television

DATE
PURCHAS
ED

COST TO
REPLACE

COST TO
REPAIR

May-05

129.99

129.99

EBay Auction Site

2001

149.99

149.99

Leaf Blower/Vaccum

Lowes

2005

75.00

75.00

27" Sony TV/DVD Remote Control

Cyberwarehouse, Lancaster, PA

2005

49.99

49.99

Little Giant Mower Battery/Tune Up

SchoolHouse Power Equipment,


Conestoga, PA
Cyberwarehouse, Lancaster, PA

2006

119.00

119.00

2005

1,200.00

0.00

Kmart, Fruitville Pike, Lancaster, March, 2006


PA

42.56

0.00

200.00

200.00

199.00

199.00

Averatec 6200 series with Windows X

Sony Digital Recorder


Cash
Cash
Sony DVD/Video Recorder Player

DEPRECIATION

AMOUNT
CLAIMED

ALLOWED

743.00
Kmart, Fruitville Pike, Lancaster, April, 2005
PA

Plantronics Earphones

49.00

Motorola Earphone

69.00

1,783.97 Total Page 2


LESS
DEDUCTIBLE
Grand Total

6,111.64

2,165.53
$7,898.19

State law requires us to include the following statement - Any person who knowingly files a statement of claim containing any
false or misleading information is subject to criminal and civil penalties.

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 98 of 355
Page 31 of 39

Tuesday, January 26, 2016


05.17.2007

Sign Here
Dated

_______________________________________________
_______________________________________________

C-I 139nj (4101)

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 99 of 355
Page 32 of 39

Tuesday, January 26, 2016


05.17.2007

Invoice
Invoice Number:

Advanced Media Group 2007


1250 Fremont Street
Lancaster, PA 17603
USA
Voice:
Fax:

7007
Invoice Date:

May 15, 2007


Page:

[email protected]
717-427-1621

Duplicate
Sold To:

Ship to:

Harleysville Insurance Company


308 Harper Drive
P.O. Box 1016
Moorestown, NJ 08057-0916
Customer ID

Customer PO

Payment Terms

0006

C.O.D.

Sales Rep ID

Shipping Method

Ship Date

USPS Priorty
Quantity

Item

Description

Unit Price

May 15, 2007 Claim Number


MO-702274 Does Not Include
Time Management Calenders
and Desktop Calenders

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Due Date

5/15/07

Page 100 of 355


Page 33 of 39

Extension

6,878.25

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

6,878.25
0.00

TOTAL

6,878.25

6,878.25

Tuesday, January 26, 2016


05.17.2007

SCHEDULE OF ARTICLES STOLEN, DAMAGED OR DESTROYED


INSURED: Stanley Caterbone
CLAIM NUMBER: M0-702274
Harleysville Insurance Company
ITEM
(Give Full Description)
1-New Not Used 10X18 Ft. Sun Setter Awning
1-Low Volume High Pressure Paint Sprayer
15-Miscellaneous Automobile Waxes, Compounds, and Cleaners
1-Tetra Pond High Volume Filter
1- Tetra High Volume Pump
1-6 Person Picnic Table
1-Digging Iron
1-Gas Powered Weed Eater
1-3 Ft. Saint Francis Stone Fountain and Statue
1-Central Security System Control Panel w/9 Motion Detectors
1-Chimney Screen
1-Free Standing Kodiak Wood Stove & Cleaning Tools
1-Aiwa Receivers
2-Omnis Surround Sound Shelf Speakers
1-Saint Francis Childrens Book by Robert F. Kennedy, Jr.
1-Fillings Dress Overcoat
1-Hair Dryer
4-100 pt Cotton Dress Shirts
1-Black Western Belt
1-The Springs White Robe
3-Hooded Sweatshirts, Pflumm, Stone Harbor Beach Patrol
1-Blackberry
1-SONY Digital Mavica Camera & Accessories
300-Newspapers for Litigation
7-Patio Blinds
100 Drill Bits and Drivers
18 Volt Dewalt Hammer Drill
1-Harmony Universal USB Remote Control
1-Roll 36" X 100 Ft Plastic Sheeting
1-36" Metal T-Square
Daily Time Management Business Calenders 1986-1991
Each Daily Page has business notes and meeting notes that is part
of my Federal Litigation for Personal and Advanced Media Group 052288;06-4650;06-3955;etc.
Desktop Monthly Calenders 1997 to 2000

AGE OF ITEM

WHEN

5
8

6
6
45
11
5
6
1.5
3
1
7
7
1
21
4
1.5
5
1.5
2
8
1
11
2
8

WHERE

COST TO

PURCHASED
PURCHASED
07/01/02 Sunsetter Inc - Online
05/05/99 Brian Langsett of Conestoga,PA
Pep Boys, Wallmart, etc, Lancaster, PA

REPLACE
$300.00
$708.00
$100.00

05/06/01 That Fish Place, Lancaster, PA


05/15/01 Online Purchase
Family Hierloom From Childhood
Pflumm Contractors, not purchased
06/01/02 Gift from Ben Roda
07/15/01 Gift from Pam Pflumm & Family
08/26/05 Yarnell Security System
02/01/04 Home Depot, Lancaster, PA
11/15/05 Newspater Advertisement, Conestoga, PA
01/08/00 Costco, Lancaster, PA
01/25/00 David Porter, Lancaster, PA
12/08/05 Amazon Books
02/15/86 Fillings Mens Store
Gift from Yolanda Caterbone
06/25/05 Kohls Department Store, Lancaster, PA
12/25/01 Gift from Pam Pflumm & Family
08/05/05 The Springs, Pismo Beach, CA

$133.32
$69.00
$150.00
$75.00
$89.00
$69.00
$1,800.00
$49.00
$600.00
$179.00
$169.00
$49.00
$399.95
$29.00
$120.00
$69.00
$59.00
$79.00
$155.00
$741.99
$100.00
$79.00
$200.00
$150.00

04/06/05 eBAY Auction


05/17/99 Office Max, Sunrise, FL
Lancaster Newspapers
07/10/06 Lowes Store, Lancaster, PA
Misc Purchases
01/10/96 Carters Lumber Supply, Lancaster, PA
04/15/05 eBAY Auction
Lowes Store, Lancaster, PA
02/01/98 Home Depot, Lancaster, PA

$103.00
$24.00
$29.99

TOTAL
C-I 139nj (4101)
State law requires us to include the following statement - Any person who knowingly files a statement of claim containing any
false
or misleading
information
Stan
J. Caterbone
Chapter is
11subject to criminal and civil penalties.
Page 101 of 355
ADVANCED MEDIA GROUP

Page 34 of 39

$6,878.25

Tuesday, January 26, 2016


05.17.2007

Invoice
Advanced Media Group 2007
1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7008

Invoice Date:
May 17, 2007

[email protected]
717-427-1621

Voice:
Fax:

Page:
1
Duplicate

Sold To:

Ship to:
Dale R. Denlinger
Clerk of Courts
50 North Duke Street
Lancaster, PA 17602

Lancaster County Treasurer


50 North Duke Street
Lancaster, PA 17602

Customer ID

Customer PO

Payment Terms

0007

C.O.D.

Sales Rep ID

Shipping Method

Due Date

Ship Date

USPS Priorty

Quantity

Item

5/17/07

Description

Unit Price

District Court Docket No.


NT-0000562-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Obstruction of Highway Not
Guilty on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000561-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Disorderly Conduct Not Guilty
on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000569-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Harassment Withdrawn on April
30, 2007 Fines Collected

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 102 of 355


Page 35 of 39

Extension
167.20

400.20

377.50

944.90

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

944.90
0.00

TOTAL

944.90

Tuesday, January 26, 2016


05.17.2007

COURT OF COMMON PLEAS OF LANCASTER COUNTY


DOCKET
Docket Number: CP-36-SA-0000028-2007

SUMMARY APPEAL DOCKET


Non-Traffic
Commonwealth of Pennsylvania
v.
Stanley Jay Caterbone

Page 3 of 6

DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program Type

Disposition Date
Final Disposition
Section
Offense Disposition
Sentence Date
Credit For Time Served
Incarceration/Diversionary Period
Start Date

Lower Court Proceeding (generic)

Lower Court Disposition

01/22/2007

Not Final

04/30/2007

Final Disposition

Not Guilty

Summary Appeal Trial


1 / Disorder Conduct Hazardous/Physi Off
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5503 A4

2 / Obstruction Highways
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5507 A

3 / Harassment - Course of Conduct W/No


Legitimate Purpose
Reinaker, Dennis E.

Nolle Prossed

18 2709 A3

04/30/2007

COMMONWEALTH INFORMATION

ATTORNEY INFORMATION

Name:

Name:

Supreme Court No:

Supreme Court No:


Counsel Status:
Phone Number(s):

AOPC 2220 - Rev 05/04/2007

Stan

Printed: 05/04/2007

Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
J. Caterbone Chapter 11
Page 103 of 355
Tuesday, January 26,
forth in 18 Pa.C.S. Section 9183.

ADVANCED MEDIA GROUP

Page 36 of 39

2016

05.17.2007

--

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF:
Mag. ma. m:

COMMONWEALTH OF

02-2-06

Hon.

MRI-

LW) H.

-r,

841 0-

JR
IlOlD

,-IM

PA

Date FiM:

p l$

QBaTEVeTfW
-m - -(-.
- - - EI
-

S5507-

RECEIPT NO:
SOURCE:
M m D :
CHECK#:

096812

DATE:

.-

8/07/06

1/23/07

D AT

PAGE:

AMOUNT RECEIAMOUNT M B 3 :
COUAT~ULAPPUED:

P a m mT
01668

MANUAL RECEIPT*
CITATION#:
COSTS INCLUDED ON:

1
167.50
167.50
O@
-00

N M T PAY1IWTAMWHT.
NMT PAYMENT DATE
NEXT PMT l Y E

JUDICIAL COMPUT3R PROJECT


ACCESS TO JUSTICE

8.00
2.00

2.00-

O m FINE
COUNTY SERVER PEES
C O m SERFEES
CONSTABLE EDUC & TRAINING

100.00

100.00-

27.50

27.5025.005-00-

25.00
5.00

==============

TOTAL

167.50

8.00-

==============
167.50-

MCVD FROM CATERBONE, JOSEPH R.


YDF,THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 104 of 355


Page 37 of 39

Tuesday, January 26, 2016


05.17.2007

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA
COUPCFY OF:
WDtgNG:

COMMONWEALTH Of

02-2-06

kRlNmffHm

m P* acmms" m

PENNSYLVANIA

PCUn
PA

841

-ua,

vs.

DEFENDAM":

NAkEendNX%SS

re-,
-50

m m ,
Daie Filed:

8 18 85503 1SM D
I- -RECEIPTNO:
096811
SOURCE PlllD AT
M
PBI
wECK1R:

01668

-1-2

1G!mm)

DATE:

--

SZAmLw nx
ST.
PA 17602

8/07/06

W W .
- - ----

1/23/01

. -

PAGE:

AM0uNTRK;EIVED:
AMWNTAPPUB):
COWATERALAPPLIBD:
GHAwE

--

400.30

400,sa
*

MANUAL RECEIPT%:
ClfAt70N%;
CO$TSWDEDON:

f4@70424-6

NEXTPAYlr(BCTAMOUHT:

NMTPAYMENTDAE
NDCTPMTtYPE:

JUDlCIAL CC)MFUTBR PROJECT


ACCESS TO JCfSTK!'E
M U N I C I P ~FINB 206
COUEJTY SERVER F m
COUNTY SERVEFl FCTY
CONSTABLE EDUC & TRAINING

COWRT COST
COW-COST
COURT COST
CTY TY
COMMONWRALTH COST- HB627

CRIME VICTIM C O M P ~ T I O N
V I C T I M WI'I?IESS-SmVICE
DOMESTIC VIOLEWCE
POSTAGE
CTY

TOTAL

RECVD PROM C24T=NE,


YDF,THANK YOU 1 1

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

JOSEPH R.

Page 105 of 355


Page 38 of 39

Tuesday, January 26, 2016


05.17.2007

- --

Lp

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF: w

- --

RECEIPT OF PAYMENT

&&[*gl*

02-2-06

vs.

DEFENDANT:

rm-,
1250
m m ,

NAMEsndA[)[]REM

ST-

J1I
ST.

PA 17602

Date Filed:

i -

8 18 12709

IIU mw

RECEIPT NO:
SOURCE:

-m

096813

8/11/06

E OF COlrlDUCT W / m =T
-

mama

DATE:

I
I

P4870511-2

PAGE:

..

AMOUNT RECEIVED:
AMOUNT APPLIED:

377-50

377-50

COLLAfERALAPPLIB):

.om

CHANGE

-00

MANUAL RECEIPT#:

CITATION#:
COSTS INCLUDED ON:

PURPOBH

1/23/07

PAID AT

1
q

NfXT PAYMENT AMOUM:


N M T PAYMENT DATE
N M T PMT TYPE:

JUDICIAL COMPUTER PROJECT


ACCESS TO JUSTICE
MUNICIPAL FINE 206
COUNTY SERVER FCTY
COUNTY SE!RVER FCTY
CONSTABLE EDUC & TRAINING
COURT COST
COMM- COST
COURT COST
my=
COMMONWEALTH COST- HB627
CRIME VICTIM COMPENSATION
VICTIM WITNESS SERVICE
DOMESTIC VIOLENCE
POSTAGE
CTY
TOTAL
CURRENT BALANCE DUE

REEW FROM CATERBONE, JOSEPH R.


YDF, THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 106 of 355


Page 39 of 39

Tuesday, January 26, 2016


05.17.2007

Invoice
Advanced Media Group 2007
1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7008

Invoice Date:
May 17, 2007

[email protected]
717-427-1621

Voice:
Fax:

Page:
1
Duplicate

Sold To:

Ship to:

MDJ Leo Eckert Jr.


841 Stehman Road
Millersvile, PA 17551

Customer ID

Dale R. Denlinger
Clerk of Courts
50 North Duke Street
Lancaster, PA 17602

Customer PO

Payment Terms

0007

C.O.D.

Sales Rep ID

Shipping Method

Due Date

Ship Date

USPS Priorty

Quantity

Item

5/17/07

Description

Unit Price

District Court Docket No.


NT-0000562-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Obstruction of Highway Not
Guilty on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000561-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Disorderly Conduct Not Guilty
on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000569-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Harassment Withdrawn on April
30, 2007 Fines Collected

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 107 of 355


Page 1 of 5

Extension
167.20

400.20

377.50

944.90

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

944.90
0.00

TOTAL

944.90

Tuesday, January 26, 2016


05.17.2007

COURT OF COMMON PLEAS OF LANCASTER COUNTY


DOCKET
Docket Number: CP-36-SA-0000028-2007

SUMMARY APPEAL DOCKET


Non-Traffic
Commonwealth of Pennsylvania
v.
Stanley Jay Caterbone

Page 3 of 6

DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program Type

Disposition Date
Final Disposition
Section
Offense Disposition
Sentence Date
Credit For Time Served
Incarceration/Diversionary Period
Start Date

Lower Court Proceeding (generic)

Lower Court Disposition

01/22/2007

Not Final

04/30/2007

Final Disposition

Not Guilty

Summary Appeal Trial


1 / Disorder Conduct Hazardous/Physi Off
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5503 A4

2 / Obstruction Highways
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5507 A

3 / Harassment - Course of Conduct W/No


Legitimate Purpose
Reinaker, Dennis E.

Nolle Prossed

18 2709 A3

04/30/2007

COMMONWEALTH INFORMATION

ATTORNEY INFORMATION

Name:

Name:

Supreme Court No:

Supreme Court No:


Counsel Status:
Phone Number(s):

AOPC 2220 - Rev 05/04/2007

Stan

Printed: 05/04/2007

Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
J. Caterbone Chapter 11
Page 108 of 355
Tuesday, January 26,
forth in 18 Pa.C.S. Section 9183.

ADVANCED MEDIA GROUP

Page 2 of 5

2016

05.17.2007

--

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF:
Mag. ma. m:

COMMONWEALTH OF

02-2-06

Hon.

MRI-

LW) H.

-r,

841 0-

JR
IlOlD

,-IM

PA

Date FiM:

p l$

QBaTEVeTfW
-m - -(-.
- - - EI
-

S5507-

RECEIPT NO:
SOURCE:
M m D :
CHECK#:

096812

DATE:

.-

8/07/06

1/23/07

D AT

PAGE:

AMOUNT RECEIAMOUNT M B 3 :
COUAT~ULAPPUED:

P a m mT
01668

MANUAL RECEIPT*
CITATION#:
COSTS INCLUDED ON:

1
167.50
167.50
O@
-00

N M T PAY1IWTAMWHT.
NMT PAYMENT DATE
NEXT PMT l Y E

JUDICIAL COMPUT3R PROJECT


ACCESS TO JUSTICE

8.00
2.00

2.00-

O m FINE
COUNTY SERVER PEES
C O m SERFEES
CONSTABLE EDUC & TRAINING

100.00

100.00-

27.50

27.5025.005-00-

25.00
5.00

==============

TOTAL

167.50

8.00-

==============
167.50-

MCVD FROM CATERBONE, JOSEPH R.


YDF,THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 109 of 355


Page 3 of 5

Tuesday, January 26, 2016


05.17.2007

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA
COUPCFY OF:
WDtgNG:

COMMONWEALTH Of

02-2-06

kRlNmffHm

m P* acmms" m

PENNSYLVANIA

PCUn
PA

841

-ua,

vs.

DEFENDAM":

NAkEendNX%SS

re-,
-50

m m ,
Daie Filed:

8 18 85503 1SM D
I- -RECEIPTNO:
096811
SOURCE PlllD AT
M
PBI
wECK1R:

01668

-1-2

1G!mm)

DATE:

--

SZAmLw nx
ST.
PA 17602

8/07/06

W W .
- - ----

1/23/01

. -

PAGE:

AM0uNTRK;EIVED:
AMWNTAPPUB):
COWATERALAPPLIBD:
GHAwE

--

400.30

400,sa
*

MANUAL RECEIPT%:
ClfAt70N%;
CO$TSWDEDON:

f4@70424-6

NEXTPAYlr(BCTAMOUHT:

NMTPAYMENTDAE
NDCTPMTtYPE:

JUDlCIAL CC)MFUTBR PROJECT


ACCESS TO JCfSTK!'E
M U N I C I P ~FINB 206
COUEJTY SERVER F m
COUNTY SERVEFl FCTY
CONSTABLE EDUC & TRAINING

COWRT COST
COW-COST
COURT COST
CTY TY
COMMONWRALTH COST- HB627

CRIME VICTIM C O M P ~ T I O N
V I C T I M WI'I?IESS-SmVICE
DOMESTIC VIOLEWCE
POSTAGE
CTY

TOTAL

RECVD PROM C24T=NE,


YDF,THANK YOU 1 1

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

JOSEPH R.

Page 110 of 355


Page 4 of 5

Tuesday, January 26, 2016


05.17.2007

- --

Lp

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF: w

- --

RECEIPT OF PAYMENT

&&[*gl*

02-2-06

vs.

DEFENDANT:

rm-,
1250
m m ,

NAMEsndA[)[]REM

ST-

J1I
ST.

PA 17602

Date Filed:

i -

8 18 12709

IIU mw

RECEIPT NO:
SOURCE:

-m

096813

8/11/06

E OF COlrlDUCT W / m =T
-

mama

DATE:

I
I

P4870511-2

PAGE:

..

AMOUNT RECEIVED:
AMOUNT APPLIED:

377-50

377-50

COLLAfERALAPPLIB):

.om

CHANGE

-00

MANUAL RECEIPT#:

CITATION#:
COSTS INCLUDED ON:

PURPOBH

1/23/07

PAID AT

1
q

NfXT PAYMENT AMOUM:


N M T PAYMENT DATE
N M T PMT TYPE:

JUDICIAL COMPUTER PROJECT


ACCESS TO JUSTICE
MUNICIPAL FINE 206
COUNTY SERVER FCTY
COUNTY SE!RVER FCTY
CONSTABLE EDUC & TRAINING
COURT COST
COMM- COST
COURT COST
my=
COMMONWEALTH COST- HB627
CRIME VICTIM COMPENSATION
VICTIM WITNESS SERVICE
DOMESTIC VIOLENCE
POSTAGE
CTY
TOTAL
CURRENT BALANCE DUE

REEW FROM CATERBONE, JOSEPH R.


YDF, THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 111 of 355


Page 5 of 5

Tuesday, January 26, 2016


05.17.2007

Invoice
Advanced Media Group 2007
1250 Fremont Street
Lancaster, PA 17603
USA

Invoice Number:
7008

Invoice Date:
May 17, 2007

[email protected]
717-427-1621

Voice:
Fax:

Page:
1
Duplicate

Sold To:

Ship to:

MDJ Isaac Stotzfus


14 Center Street
Intercourse, PA 17534

Customer ID

Dale R. Denlinger
Clerk of Courts
50 North Duke Street
Lancaster, PA 17602

Customer PO

Payment Terms

0007

C.O.D.

Sales Rep ID

Shipping Method

Due Date

Ship Date

USPS Priorty

Quantity

Item

5/17/07

Description

Unit Price

District Court Docket No.


NT-0000562-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Obstruction of Highway Not
Guilty on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000561-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Disorderly Conduct Not Guilty
on April 30, 2007 Fines
Collected
District Court Docket No.
NT-0000569-06 Summary Appeal
Docket No. CP-36-SA0000028-2007
Harassment Withdrawn on April
30, 2007 Fines Collected

Check No:

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 112 of 355


Page 1 of 5

Extension
167.20

400.20

377.50

944.90

Subtotal
Sales Tax
Total Invoice Amount
Payment Received

944.90
0.00

TOTAL

944.90

Tuesday, January 26, 2016


05.17.2007

COURT OF COMMON PLEAS OF LANCASTER COUNTY


DOCKET
Docket Number: CP-36-SA-0000028-2007

SUMMARY APPEAL DOCKET


Non-Traffic
Commonwealth of Pennsylvania
v.
Stanley Jay Caterbone

Page 3 of 6

DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program Type

Disposition Date
Final Disposition
Section
Offense Disposition
Sentence Date
Credit For Time Served
Incarceration/Diversionary Period
Start Date

Lower Court Proceeding (generic)

Lower Court Disposition

01/22/2007

Not Final

04/30/2007

Final Disposition

Not Guilty

Summary Appeal Trial


1 / Disorder Conduct Hazardous/Physi Off
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5503 A4

2 / Obstruction Highways
Reinaker, Dennis E.

Not Guilty
04/30/2007

18 5507 A

3 / Harassment - Course of Conduct W/No


Legitimate Purpose
Reinaker, Dennis E.

Nolle Prossed

18 2709 A3

04/30/2007

COMMONWEALTH INFORMATION

ATTORNEY INFORMATION

Name:

Name:

Supreme Court No:

Supreme Court No:


Counsel Status:
Phone Number(s):

AOPC 2220 - Rev 05/04/2007

Stan

Printed: 05/04/2007

Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
J. Caterbone Chapter 11
Page 113 of 355
Tuesday, January 26,
forth in 18 Pa.C.S. Section 9183.

ADVANCED MEDIA GROUP

Page 2 of 5

2016

05.17.2007

--

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF:
Mag. ma. m:

COMMONWEALTH OF

02-2-06

Hon.

MRI-

LW) H.

-r,

841 0-

JR
IlOlD

,-IM

PA

Date FiM:

p l$

QBaTEVeTfW
-m - -(-.
- - - EI
-

S5507-

RECEIPT NO:
SOURCE:
M m D :
CHECK#:

096812

DATE:

.-

8/07/06

1/23/07

D AT

PAGE:

AMOUNT RECEIAMOUNT M B 3 :
COUAT~ULAPPUED:

P a m mT
01668

MANUAL RECEIPT*
CITATION#:
COSTS INCLUDED ON:

1
167.50
167.50
O@
-00

N M T PAY1IWTAMWHT.
NMT PAYMENT DATE
NEXT PMT l Y E

JUDICIAL COMPUT3R PROJECT


ACCESS TO JUSTICE

8.00
2.00

2.00-

O m FINE
COUNTY SERVER PEES
C O m SERFEES
CONSTABLE EDUC & TRAINING

100.00

100.00-

27.50

27.5025.005-00-

25.00
5.00

==============

TOTAL

167.50

8.00-

==============
167.50-

MCVD FROM CATERBONE, JOSEPH R.


YDF,THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 114 of 355


Page 3 of 5

Tuesday, January 26, 2016


05.17.2007

RECEIPT OF PAYMENT

COMMONWEALTH OF PENNSYLVANIA
COUPCFY OF:
WDtgNG:

COMMONWEALTH Of

02-2-06

kRlNmffHm

m P* acmms" m

PENNSYLVANIA

PCUn
PA

841

-ua,

vs.

DEFENDAM":

NAkEendNX%SS

re-,
-50

m m ,
Daie Filed:

8 18 85503 1SM D
I- -RECEIPTNO:
096811
SOURCE PlllD AT
M
PBI
wECK1R:

01668

-1-2

1G!mm)

DATE:

--

SZAmLw nx
ST.
PA 17602

8/07/06

W W .
- - ----

1/23/01

. -

PAGE:

AM0uNTRK;EIVED:
AMWNTAPPUB):
COWATERALAPPLIBD:
GHAwE

--

400.30

400,sa
*

MANUAL RECEIPT%:
ClfAt70N%;
CO$TSWDEDON:

f4@70424-6

NEXTPAYlr(BCTAMOUHT:

NMTPAYMENTDAE
NDCTPMTtYPE:

JUDlCIAL CC)MFUTBR PROJECT


ACCESS TO JCfSTK!'E
M U N I C I P ~FINB 206
COUEJTY SERVER F m
COUNTY SERVEFl FCTY
CONSTABLE EDUC & TRAINING

COWRT COST
COW-COST
COURT COST
CTY TY
COMMONWRALTH COST- HB627

CRIME VICTIM C O M P ~ T I O N
V I C T I M WI'I?IESS-SmVICE
DOMESTIC VIOLEWCE
POSTAGE
CTY

TOTAL

RECVD PROM C24T=NE,


YDF,THANK YOU 1 1

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

JOSEPH R.

Page 115 of 355


Page 4 of 5

Tuesday, January 26, 2016


05.17.2007

- --

Lp

COMMONWEALTH OF PENNSYLVANIA

COUNTY OF: w

- --

RECEIPT OF PAYMENT

&&[*gl*

02-2-06

vs.

DEFENDANT:

rm-,
1250
m m ,

NAMEsndA[)[]REM

ST-

J1I
ST.

PA 17602

Date Filed:

i -

8 18 12709

IIU mw

RECEIPT NO:
SOURCE:

-m

096813

8/11/06

E OF COlrlDUCT W / m =T
-

mama

DATE:

I
I

P4870511-2

PAGE:

..

AMOUNT RECEIVED:
AMOUNT APPLIED:

377-50

377-50

COLLAfERALAPPLIB):

.om

CHANGE

-00

MANUAL RECEIPT#:

CITATION#:
COSTS INCLUDED ON:

PURPOBH

1/23/07

PAID AT

1
q

NfXT PAYMENT AMOUM:


N M T PAYMENT DATE
N M T PMT TYPE:

JUDICIAL COMPUTER PROJECT


ACCESS TO JUSTICE
MUNICIPAL FINE 206
COUNTY SERVER FCTY
COUNTY SE!RVER FCTY
CONSTABLE EDUC & TRAINING
COURT COST
COMM- COST
COURT COST
my=
COMMONWEALTH COST- HB627
CRIME VICTIM COMPENSATION
VICTIM WITNESS SERVICE
DOMESTIC VIOLENCE
POSTAGE
CTY
TOTAL
CURRENT BALANCE DUE

REEW FROM CATERBONE, JOSEPH R.


YDF, THANK YOU ! !

Stan J. Caterbone Chapter 11


ADVANCED MEDIA GROUP

Page 116 of 355


Page 5 of 5

Tuesday, January 26, 2016


05.17.2007

Stan J. Caterbone Chapter 11

Page 117 of 355

Tuesday, January 26, 2016

www.amgglobalentertainmentgroup.com
[email protected]
717-669-2163
Stanley J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
IN THE UNITED STATES THIRD CIRCUIT COURT OF APPEALS
_______________________________________________________________________________
Lisa Michelle Lambert
:
PETITIONER
:
:
v.
:
CASE NO. 3400-2015
:
:
Lynn Bissonnette, et al.,
:
RESPONDANT
:
:
Stanley J. Caterbone
APPELLANT

:
:
:
:

MOTION FOR CONSIDERATION BY APPELANT re


Advanced Media Group Pro Se Billings and Sales
Journal From January 1, 2007 to August 31, 2008

I hereby on this 9th

day of November, 2015, submit for considerations in the above captioned case the

attached document as an EXHIBIT, Advanced Media Group Pro Se Billings and Sales Journal
From January 1, 2007 to August 31, 2008.

If it would please The court to consider the

appropriate law that would grant the APPELLANT at least this amount $284,702.50 in pro se billings considering
the magnitude and duration of the APPELLANTS pain and suffering.

Date: November 9, 2015

Stan J. Caterbone Chapter 11

/s/ Stanley J. Caterbone


Stanley J. Caterbone, Pro Se
Appellant
1250 Fremont Street
Lancaster, PA 17603
(717)-669-2163
[email protected]
http://www.amgglobalentertainmentgroup.com/__

Page 118 of 355

Tuesday, January 26, 2016

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name
AMG Chapter 11
3/1/2007 Bankruptcy

Line Description
Item Description
May 2005 Research Filing of Petition for Bankruptcy,
Russell Kraft, Nettleton & Fenefrock
Chapter 11 Hours Billed
May 23 2005 File for Chapter 11 Bankruptcy
Protection in Federal Bankruptcy Court for the Eastern
District of Pennsylvania, Reading
Chapter 11 Hours Billed
June 21 2005 Notice of Appeal Filed by Stanley J.
Caterbone Regarding 6/13/2005 Order Dismissing
Case for Debtor's Failure to Timely File Required
Documents to
Chapter 11 Appeal Hours

Unit
Price

Debit
Amount

Credit
Amount

20

$125.00

$2,500.00

$125.00

$625.00

$125.00

$625.00

10

$125.00

$1,250.00

$125.00

$625.00

Jul 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Aug 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Sep 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Oct 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Nov 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

10

$125.00

$1,250.00

Jun 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed
Jul 1 2005 In Reading Appellant Designation of
Contents For Inclusion in Record On Appeal, and
Findings of Fact Filed by Stanley J. Caterbone .
(Attachments: #
Chapter 11 Hours Billed

Dec 2005 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed
Dec 15 2005 Amended Schedules F & G Filed by
Amended Matrix Stanley J. Caterbone ; Receipt
Number 20074028, Fee Amount $26.00. (P., Cathy)
(Entered: 12/16/2005)
Chapter 11 Hours Billed

$125.00

$375.00

Jan 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Feb 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Apr 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

May 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

10

$125.00

$1,250.00

Jun 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed
Jun 29 2006 Hearing Held - RE: Motion to Dismiss
Case, or Conversion of Case to Chapter 7 Filed by
United States Trustee (
Court Time Hours Billed

$150.00

$1,050.00

Jul 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Aug 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

Sep 2006 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed

10

$125.00

$1,250.00

10

$125.00

Jan 2007 Administration, Reporting and


Communication with Creditors and Accounts Payables
for Chapter 11 Bankruptcy Case 05-23059
Chapter 11 Hours Billed
AMG Chapter 11 Bankruptcy
6/17/2007

Qty

Apr 30 2007 Notice of Appeal to Thrid Circuit from


Chapter 11 re Amend Filing Date Case No. 07-2150
May 10 2007 Application to procedd In Forma
Pauperis Filed
May 21 2007 Motion For Recusal of Judge Rendell
Filed
May 29 2007 Order Granted for In Forma Pauperis;
Proceed to 3 Judge Panel for Review to Continue
June 8 2007 Motion to Dismiss by Department of
Justice (Appellee) by J. Adams
AMG Chapter 11 Bankruptcy

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Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

$1,250.00
$25,800.00

Chapter 11 Appeal Hours

$125.00

$625.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

Page
Page119
1 ofof44355

$375.00
$1,750.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
June 2 2005 Order Granting Application To Pay Filing
Fees In Installments. (Related Doc # 4);
June 13 2005 Order Dismissing Case for Debtor's
Failure to Timely File Required Documents. (P.,
Cathy) (Entered: 06/13/2005)
June 21 2005 Summary of Schedules, Schedules A-J,
Statement of Financial Affairs Filed by Stanley J.
Caterbone . (Attachments: # J. Statement of
Financial Affai
06/21/2005 Summary of Schedules, Schedules A-J,
Statement of Financial Affairs Filed by Stanley J.
Caterbone . (Attachments: # J. Statement of
Financial Aff
07/01/2005 Appellant Designation of Contents For
Inclusion in Record On Appeal, and Findings of Fact
Filed by Stanley J. Caterbone . (Attachments: # I
Findi
09/21/2005 District Court Order entered within Civil
Action # 05-CV-3689 Notice of Appeal Filed by
Stanley J. Caterbone Regarding 6/13/2005 Order
Dismissing
10/05/2005 Final Order By District Court Judge Anita
B. Brody - RE: Notice of Appeal (CA-05-3689)
Regarding 6/13/2005 Order Dismissing Ca
11/08/2005 Notice of Hearing to Show Cause why
this case should
not be not be Dismissed for
Debtor's Failure to Timely Pay Filing Fees for Chapter
1

Item Description

Qty

Unit
Price

Debit
Amount

Credit
Amount

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$625.00

Chapter 11 Hours Billed

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$875.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$250.00

$125.00

$250.00

$125.00

$625.00

$125.00

$375.00

Chapter 11 Hours Billed


Court Time Hours Billed

3
6

$125.00
$150.00

$375.00
$900.00

Jan 9 2006 File Order Entered that if a certificate of


service of the amended schedules or amended matrix
is not filed within 20 days from the date of this orde Chapter 11 Hours Billed

$125.00

$375.00

01/23/2006 Certificate of Service Filed by Stanley J.


Caterbone - RE: Amended Schedules and Response to
Creditor Status Order (related document(s)27). (P.,
Chapter 11 Hours Billed

$125.00

$375.00

$125.00

$375.00

$125.00

$375.00

25

$125.00

$3,125.00

Chapter 11 Hours Billed

$125.00

$500.00

Chapter 11 Hours Billed

12

$125.00

$1,500.00

Chapter 11 Hours Billed

$125.00

$500.00

Court Time Hours Billed

$150.00

$900.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$125.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

11/16/2005 Meeting of Creditors . 341 (a) meeting


to be held on 12/15/2005 at 12:30 PM at 3cnfrm 3rd Floor Conference Room. Last day to oppose dis
Chapter 11 Hours Billed
11/29/2005 Drive to Reading to Final Installment
Payment. Receipt Number 20073978, Fee Amount
$839.00. (P., Cathy) (Entered: 11/29/2005) Drive to
Reading Co
Chapter 11 Hours Billed
General Hours Billed For Legal Work Done On Pro Se
Chapter 11 Case
Chapter 11 Hours Billed
12/15/2005 Response dated 12/14/2005 Filed by
Stanley J. Caterbone Regarding HEMAP Appeal
Hearing Request. (P., Cathy) (Entered: 12/16/2005)
Time For Court Appearance and Litigation

01/24/2006 Motion for Relief from Stay. Fee Amount


$150, Filed by Fulton Bank Represented by SHAWN
M. LONG (Counsel). Objections due by 2/8/2006. (A Chapter 11 Hours Billed
01/30/2006 Amended Schedule F (creditor added)
Filed by Stanley J. Caterbone ; Receipt Number
20074148, Fee Amount $26.00 (P., Cathy) (Entered:
01/31/2006)
Chapter 11 Hours Billed
01/30/2006 Advanced Media Group Income
Statements for the year 2005 Filed by Stanley J.
Caterbone . (Attachments: # !_ Continuation of
Reports) (P., Cathy)
Chapter 11 Hours Billed
02/02/2006 Certificate of Service Filed by Stanley J.
Caterbone - RE: Amended Schedules (related
document(s)35). (P., Cathy) (Entered: 02/02/2006)
02/02/2006 Debtor's Response to Motion of Fulton
Bank for Relief From Stay ; Response and Exhibits
thereto Filed by Stanley J. Caterbone (related do
02/10/2006 Monthly Operating Report for Filing for
the month of January 2006 Filed by Stanley J.
Caterbone . (P., Cathy) (Entered: 02/10/2006)
02/21/2006 Hearing Held on 31 Motion for Relief
from Stay Filed by Fulton Bank Represented by
SHAWN M. LONG (Counsel). Matter Taken Under
Advisement. (S., B
02/23/2006 Order Granting Motion for Relief from
Stay Regarding Property 220 Stone Hill Road,
Conestoga, PA Filed by Fulton Bank Represented by
SHAWN M. LON
03/20/2006 Debtor Request for Hearing, and
Certificate of Service thereto Filed by Stanley J.
Caterbone . (P., Cathy) (Entered: 03/20/2006)
General Hours Billed For Legal Work Done On Pro Se
Chapter 11 Case
03/31/2006 Order DENYING Debtor's (Second)
Request for Hearing because nothing is pending
before this Court on which a hearing might be held,
(related d
04/10/2006 Request for Continuance of Chapter 11
Case Filed'by Stanley J. Caterbone . (P., Cathy)
(Entered: 04/10/2006)
04/10/2006 Order DENYING Debtor's Motion to Stay
All Proceedings (Request for Continuance) because
nothing is presently pending before this Court that
would

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January 26,
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Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Item Description
05/03/2006 Order (copy) entered in District Court
within Appeal CV-06-1538 ; Ordered that the
Appellant's motion for continuance is Denied as Moot
(con
Chapter 11 Hours Billed
05/30/2006 05/30/2006 05/30/2006 Motion to
Convert Case to Chapter 7 . Fee Amount $15.00,
Motion to Dismiss Case Filed by United States Trustee
Represente
Chapter 11 Hours Billed

Qty

Unit
Price

Debit
Amount

Credit
Amount

$125.00

$125.00

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$250.00

Court Time Hours Billed

$150.00

$900.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$125.00

11 Hours Billed

$125.00

$375.00

11 Hours Billed

$125.00

$125.00

11 Hours Billed

$125.00

$125.00

11 Hours Billed

$125.00

$125.00

11 Hours Billed

$125.00

$250.00

09/27/2006 Notice of Briefing Schedule issued by US


District Court - RE: Notice of Appeal Civil Action 064212 (related document(s)83). (P., Cathy)
Chapter 11 Hours Billed

$125.00

$125.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$375.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$125.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$250.00

Chapter 11 Hours Billed

$125.00

$375.00

02/09/2007 Letter Received from Debtor Stanley J.


Caterbone in response to memorandum regarding
Local Rule 9014-3. (P., Cathy) (Entered: 02/13/2007) Chapter 11 Hours Billed

$125.00

$250.00

06/08/2006 Certificate of Service Filed by Stanley J.


Caterbone Regarding Documents sent to US Trustee's
Office. (P., Cathy) (Entered: 06/08/2006)
06/29/2006 Hearing Held - RE: Motion to Dismiss
Case, or Conversion of Case to Chapter 7 Filed by
United States Trustee (related document(s),60).
**MATTER T
07/10/2006 Debtor's Request for Hearing
Transcripts, Praecipe to Proceed in Forma Pauperis
Filed by Stanley J. Caterbone . (P., Cathy) (Entered:
07
07/17/2006 Final Order By District Court Judge Anita
B. Brody Regarding Debtor's Notice of Appeal (Civil
Action #06-1538) of Bankruptcy Order dated
2/23/200
07/18/2006 Debtor's Request (dated 7/14/2006) for
Hearing Transcripts, Praecipe to Proceed in Forma
Pauperis Filed by Stanley J. Caterbone . (P., Cathy)
(En
07/20/2006 Memorandum In Support of Motion to
Dismiss Filed by United States Trustee Dept of Justice
Dave P. Adams
08/03/2006 Hearing Set re Debtor's Request for
Hearing Transcripts, Praecipe to Proceed in Forma
Pauperis Filed by Stanley J. Caterbone (related
document 67

08/16/2006 Motion Debtor Request Continuance


Filed by Stanley J. Caterbone Represented by
Self(Counsel). (P., Cathy) (Entered: 08/16/2006)
Chapter
08/17/2006 Hearing Scheduled to provide court with
difinitive report status of Chapter 11 and to address
questions about the future Heaing Notice Never
Recieved
Chapter
General Hours Billed For Legal Work Done On Pro Se
Chapter 11 Case
Chapter
08/25/2006 DOCKETED IN ERROR: entered on main
case, should be on adversary- See Adversary 062236***Attach PDF Document: Copy of Notice of
Appeal
Chapter
08/31/Order Entered that the Bench Order Entered on
today's Record DENYING 67 Debtor's Request (dated
7/6/2006) for Hearing Transcripts, Praecipe to
Proceed IFP
Chapter

10/03/2006 Order Granting United States Trustee's


Motion to Dismiss Case, (related document(s)60). (P.,
Cathy) (Entered: 10/03/2006)
10/19/2006 Notice of Appeal to District Court - RE:
Order entered 10/3/2006 Granting United States
Trustee's Motion to Dismiss Case ; Notice of Appeal,
and
01/18/2007 Motion for Debtor's Request (dated
1/13/2007) for Hearing Transcripts, Praecipe to
Proceed in Forma Pauperis Filed by Stanley J.
Caterbon
01/19/2007 Order DENYING Motion for Debtor's
(Second) Request for Hearing Transcripts, Praecipe to
Proceed in Forma Pauperis Filed by Stanley J.
Caterbone.
01/19/2007 Order DENYING Motion for Debtor's
(Second) Request for Hearing Transcripts, Praecipe to
Proceed in Forma Pauperis Filed by Stanley J.
Caterbone.
02/05/2007 Updated Creditor Matrix/Amendment to
List of Creditors (5 new names) Filed by Stanley J.
Caterbone (Neither Amended Schedules nor Certific
02/05/2007 Application to Waive Fee Filed by
Stanley J. Caterbone Represented by Self(Counsel).
(P., Cathy) (Entered: 02/05/2007)
02/05/2007 Motion to Reconsider Order DENYING
Motion for Debtor's (Second) Request for Hearing
Transcripts, Praecipe to Proceed in Forma Pauperis ;
M
02/07/2007 Order DENYING Debtor's Motion to
Reconsider Order dated 1/19/2007 and DENYING
Debtor's Application to Waive Fee. (related
document(s)105, 1

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January 26,
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2015

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Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Item Description
02/20/2007 Notice of Appeal to District Court of
Order entered 2/7/2007 DENYING Debtor's Motion to
Reconsider Order DENYING Debtor's Application to
Wa
Chapter 11 Hours Billed
02/26/2007 Corrective Entry - RE: Notice of Appeal
of Order DENYING Debtor's Motion to Reconsider
Order and Debtor's Application to Waive Fee Filed by
Stanl
Chapter 11 Hours Billed

3/16/2007 Federal Habeau Corpus

AMG Chapter 11 Bankruptcy


Nov 20, 2006 - General Hours Billed For Legal Work
Done On Pro Se Civil Appeal Case Harbeas Corpus
filed from Lancaster County Prison on November 17,
2006
January 19, 2007 - ADDENDUM to 2241 Habeas
Corpus Petition by STANLEY J. CATERBONE.
Certificate of Service, (gs) (Entered: 01/22/2007)
April 17, 2007 - ORDER THAT THE CLERK SHALL
PROMPTLY FURNISH PETITIONER WITH THE IN
FORMA PAUPERIS APPLICATION FORM AND
PETITIONER SHALL EITHER COMPLETE AND RET

May 31, 2007 - EXHIBIT to 28 U.S.C. Section 2241


Habeas Corpus Petition by STANLEY J. CATERBONE.
Certificate of Service (gs) (Entered: 06/01/2007)
June 4, 2007 - EXHIBIT to U.S.C. Sec. 2241 Habeas
Copus Petition by STANLEY J. CATERBONE. (gs)
(Entered: 06/04/2007)
Federal Habeau Corpus
Aug 2006 General Hours Billed For Legal Work Done
Caterbone v. Penn DOT On Pro Se Civil Case
Sep 2006 General Hours Billed For Legal Work Done
On Pro Se Civil Case
Caterbone v. Penn DOT
Caterbone v.
Aug 2 2006 General Hours Billed For Legal Work Done
Caterbone,Michael
On Pro Se Civil Case Filed Complaint
Aug 24 2006 General Hours Billed For Legal Work
Done On Pro Se Civil Case Filed Default Notice
Caterbone v. Caterbone,Michael
Jul 14 2006 General Hours Billed For Legal Work Done
On Pro Se Civil Case Filed Complaint & In Forma
Caterbone v. Penn DOT Pauperis Denied by Georgelis
Aug 25 General Hours Billed For Legal Work Done On
Pro Se Civil Case Refiled In Forma Pauperis Granted
by Cullen
Sep 5 2006 General Hours Billed For Legal Work Done
On Pro Se Civil Appeal Case Filed Appeal to Superior
Court of Pennsylvania
General Hours Billed For Legal Work Done On Pro Se
Civil Appeal Case Transfered from Superior Court to
Commonwealth Court of Common Pleas
Caterbone v. Penn DOT
Jul 26 2006 General Hours Billed For Legal Work Done
Caterbone v. PP&L
On Pro Se Civil Case Filed Complaint with Advanced
Media Group
Electric
10 Aug 2006 General Hours Billed For Legal Work
Done On Pro Se Chapter 11 Case Transfered to
Chapter 11 Case by PP&L
Caterbone v. PP&L Electric
Caterbone v. Southern
Regional

Debit
Amount

Credit
Amount

$125.00

$250.00

$125.00

$125.00

$125.00

$125.00

$125.00

$125.00

Chapter 11 Hours Billed

$125.00

$125.00

Chapter 11 Hours Billed

$125.00

$1,000.00

Chapter 11 Hours Billed

$125.00

$125.00
$23,825.00

Hours Billed For Civil


Appeals

15

$125.00

$1,875.00

Hours Billed For Civil


Appeals

$125.00

$375.00

Hours Billed For Civil


Appeals

$125.00

$125.00

Hours Billed For Civil


Appeals

$125.00

$375.00

Hours Billed For Civil


Appeals

$125.00

$250.00
$3,000.00

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed

10

$125.00

$125.00

$1,250.00
$1,000.00
$2,250.00

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed

10

$125.00

$125.00

$1,250.00
$250.00
$1,500.00

Civil Litigation Hours


Billed

15

$125.00

$1,875.00

Civil Litigation Hours


Billed

$125.00

$625.00

Hours Billed For Civil


Appeals

$125.00

$1,000.00

Hours Billed For Civil


Appeals

$125.00

$250.00
$3,750.00

Civil Litigation Hours


Billed

$125.00

Chapter 11 Hours Billed

$125.00

$1,000.00
$125.00
$1,125.00

Feb 2005 General Hours Billed For Legal Work Done


On Pro Se Civil Case Meetings & Communications with Civil Litigation Hours
Chief of Southern Regional Police Fiorill
Billed
Mar 2005 General Hours Billed For Legal Work Done
On Pro Se Civil Case Meetings & Communications with
Chief of Southern Regional Police Fiorill
Apr 4 2006 General Hours Billed For Legal Work Done
On Pro Se Civil Case Prepared Complaint and Email to
Don Totaro, Lancaster County DA
Apr 11 2006 General Hours Billed For Legal Work
Done On Pro Se Civil Case Filed Complaint
Apr 28 2006 Ammend Complaint General Hours Billed
For Legal Work Done On Pro Se Civil Case

Unit
Price

03/06/2007 Order Supplementing Order of February


7, 2007, pursuant to Local Bankruptcy Rule 8001-1
(c)(related document(s)K)6). (B., Keith) (Entere
Chapter 11 Hours Billed
03/20/2007 District Court Acknowledgement of
receiving Bankruptcy Appeal (CA-07-1093) Signed by
Deputy Clerk Steve Tomas - RE: Notice of Appeal to
District
Chapter 11 Hours Billed
05/18/2007 Notice of Change of Address Filed by
Stanley J. Caterbone . (P.,Cathy) (Entered:
05/18/2007) 05/18/2007 Operating Report/Balance
05/18/2007 Operating port/Balance Sheet
5/31/2007, Income Statement for 5 months ending
5/31/2007, Aged Receivables as of 5/31/2007 Filed
by Stanley

Qty

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed
Civil Litigation Hours
Billed
Civil Litigation Hours
Billed

15

$125.00

$1,875.00

$125.00

$625.00

$125.00

$500.00

20

$125.00

$2,500.00

$125.00

$500.00

May 15 2006 General Hours Billed For Legal Work


Done On Pro Se Civil Case Certificate of Service
Personal Delivery to William Cambell of Quarryville

Civil Litigation Hours


Billed

$125.00

$625.00

Jun 10 2006 Motion for Continuance General Hours


Billed For Legal Work Done On Pro Se Civil Case

Civil Litigation Hours


Billed

$125.00

$375.00

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Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Item Description
Jun 15 2006 Reponsive Brief to Preliminary Objections
General Hours Billed For Legal Work Done On Pro Se Civil Litigation Hours
Civil Case
Billed
Jul 25 2006 Appealed to Superior Court of
Hours Billed For Civil
Pennsylvania General Hours Billed For Legal Work
Done On Pro Se Civil Appeal Case
Appeals
Aug 09 Lancaster County Court of Common Pleas
Time For Court Appearance and Litigation Shawn
Long Appeared at Defendants Table before Court,
walked out
Court Time Hours Billed
Oct 30 2006 Filed Amended Complaint from Bausman
Post Office, General Hours Billed For Legal Work
Hours Billed For Civil
Done On Pro Se Civil Appeal Case
Appeals
Nov 7 2006 Filed for Continuance from Lancaster
Civil Litigation Hours
County Prison General Hours Billed For Legal Work
Done On Pro Se Civil Case
Billed
Caterbone v. Southern Regional
Sep 1 2006 Complaint & In Forma Pauperis Filed
Caterbone v. Millersville General Hours Billed For Legal Work Done On Pro Se Civil Litigation Hours
Poli
Civil Case IFP Granted Judge Ashworth
Billed
Mar 26 2007 File Response to Preliminary Objections
to Lancaster County Court of Common Pleas General
Civil Litigation Hours
Hours Billed For Legal Work Done On Pro Se Civil
Billed
Case
Caterbone v. Millersville Poli
Sep 11 2006 Filed Complaint & In Forma Pauperis
Caterbone v. Benjamin General Hours Billed For Legal Work Done On Pro Se Civil Litigation Hours
Roda
Civil Case IFP Denied by Judge Reinaker
Billed

Caterbone v.
Harleysville et

Caterbone v. Grassell,
Thomas

Caterbone v. Lancaster
General

Caterbone v.
Pflumm,Mike et al

Common of PA v. S.
3/17/2007 Caterbone

3/18/2007

Sep 14 2006 Second In Forma Pauperis Application


Filed & Approved by Judge Joseph Madenspacher
Caterbone v. Benjamin Roda
Aug 1 2006 Complaint & Informa Pauperis Filed with
Advanced Media Group - General Hours Billed For
Legal Work Done On Pro Se Civil Case, IFP Granted
by Georgeli
Aug 24 2006 Important Notice of Default Filed General Hours Billed For Legal Work Done On Pro Se
Civil Case
Sep 27 2006 Filed Reply to Preliminary Objections General Hours Billed For Legal Work Done On Pro Se
Civil Case
Oct 23 Filed Brief in Support of Arbitration - General
Hours Billed For Legal Work Done On Pro Se Civil
Case
Nov 7 2006 Filed Motion for 60 Day Continuance General Hours Billed For Legal Work Done On Pro Se
Civil Case

Civil Litigation Hours


Billed

Mar 7 2007 Filed Amended Complaint - General Hours


Billed For Legal Work Done On Pro Se Civil Case
Caterbone v. Harleysville et
Apr 11 2006 Filed Complaint - General Hours Billed
For Legal Work Done On Pro Se Civil Case
Jun 6 2006 Filed Important Notice of Default General Hours Billed For Legal Work Done On Pro Se
Civil Case
Caterbone v. Grassell, Thomas
Apr 10 2006 Filed Complaint, walked to Courthouse
directly after discharge from Hospital - General Hours
Billed For Legal Work Done On Pro Se Civil Case
Apr 28 2006 Filed Amended Complaint - General
Hours Billed For Legal Work Done On Pro Se Civil
Case
Caterbone v. Lancaster General
May 24 2006 Filed Complaint & In Forma Pauperis
Application - General Hours Billed For Legal Work
Done On Pro Se Civil Case IFP Denied by Judge
Reinaker
Caterbone v. Pflumm,Mike et al
2006 General Hours Billed For Legal Work Done On
Pro Se Criminal Case Downtown Lancaster Parking
Meter Violation MDJ Simms
2006 Time For Court Appearance and Litigation For
Parking Meter Violation
Common of PA v. S. Caterbone
Aug 2006 General Hours Billed For Legal Work Done
On Pro Se Criminal Case Downtown Lancaster Parking
Meter Violation MDJ Simms
Oct 5 2006 Time For Court Appearance and Litigation
MDJ Simms Parking Meter Violation
Common of PA v. S. Caterbone
May 10 2005 General Hours Billed For Legal Work
Done On Pro Se Criminal Case 18$2709$$A3
Harassment w/Tim Decker Killing of Cat SRPD
Humane Legue Witness
Sep 28 2005 General Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case Notice of
Appeal Stolen From Mail, Never Appeared For Trial,
Judge Allison
Fines $442.00 Paid General Hours Billed For Legal
Work Done On Pro Se Criminal Appeal Case
Common of PA v. S. Caterbone
Jan 09 2007 General Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case Filed Nunc Pro
Tunc, Denied by Reainaker

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Qty

Unit
Price

Debit
Amount

Credit
Amount

12

$125.00

$1,500.00

10

$125.00

$1,250.00

$150.00

$600.00

12

$125.00

$1,500.00

$125.00

$250.00
$12,100.00

15

$125.00

20

$125.00

$1,875.00

$2,500.00
$4,375.00

$125.00

$125.00

$1,000.00
$500.00
$1,500.00

Civil Litigation Hours


Billed

20

$125.00

$2,500.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$875.00

Civil Litigation Hours


Billed

$125.00

$625.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$875.00
$5,500.00

Civil Litigation Hours


Billed

15

$125.00

Civil Litigation Hours


Billed

$125.00

$1,875.00
$500.00
$2,375.00

Civil Litigation Hours


Billed

25

$125.00

Civil Litigation Hours


Billed

$125.00

$3,125.00
$1,000.00
$4,125.00

Civil Litigation Hours


Billed

$125.00

$1,000.00
$1,000.00

Hours Billed For Criminal


Case

$125.00

Court Time Hours Billed

$150.00

$625.00
$450.00
$1,075.00

Hours Billed For Criminal


Case

$125.00

Court Time Hours Billed

$150.00

$625.00
$450.00
$1,075.00

Hours Billed For Criminal


Case
Hours Billed Criminal
Appeal
Hours Billed Criminal
Appeal

10

$125.00

$1,250.00

$125.00

$375.00

$125.00

$250.00
$1,875.00

Hours Billed Criminal


Appeal

Page
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$125.00

$250.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Jan 19 2007 General Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case Refiled, Denied
Again
Common of PA v. S. Caterbone
Jul 5 2006 PrelimiHearing General Hours Billed For
Legal Work Done On Pro Se Criminal Case MDJ
Hamilton, Fire M. Bomberger, Public Defender, MDJ
Hamilton Guilty
Oct 12 2006 Pretrial Conference Case Continued
Judge Allison General Hours Billed For Legal Work
Done On Pro Se Criminal Case $75$3733$$A M2
Nov 09 2006 Pretrial Conference Case Continued
Judge Allison General Hours Billed For Legal Work
Done On Pro Se Criminal Case From Lanc Co Prison
Dec 14 2006 Call of the Trial List Continued Judge
Ashworth (Cullen) General Hours Billed For Legal
Work Done On Pro Se Criminal Case From Lanc Co
Prison
Jan 22 2007 Call of the Trial List Scheduled for Trial
Judge Farina (Cullen) General Hours Billed For Legal
Work Done On Pro Se Criminal Case Janice Longer
Appo
Time For Court Appearance and Litigation
Feb 23 2006 Complaint Filed to Lancaster County Bar
v. Janice Longer General Hours Billed For Legal Work
Done On Pro Se Criminal Case
Feb 26 Call of the Trial List Scheduled for Trial
General Hours Billed For Legal Work Done On Pro Se
Criminal Case
Feb 28 2006 Filed Response to Longer Petition to
Withdraw From Case General Hours Billed For Legal
Work Done On Pro Se Criminal Case
Mar 1 2007 General Hours Billed For Legal Work Done
On Pro Se Criminal Case Meeting with Janice Longer
To Prepare
Mar 4 2007 Trial Court Judge Cullen Continued Case
to April Court ScheduleTime For Court Appearance
and Litigation
Mar 4 2007 File Supreme Court Diciplinary Complaint
v. Janice Longer General Hours Billed For Legal Work
Done On Pro Se Criminal Case
Mar 22 2007 Research & Review Pa Consolodated
Statutes Annotated at Law Library General Hours
Billed For Legal Work Done On Pro Se Criminal Case
Mar 26 Letter to Janice Longer & Review Motion to
Dismiss QuashGeneral Hours Billed For Legal Work
Done On Pro Se Criminal Case
Common of PA v. S. Caterbone
Dec 5 2005 Preliminary Hearing Judge Reuter,
Bezzard had to Refile or Dismiss General Hours Billed
For Legal Work Done On Pro Se Criminal Case East
Lampeter Twp
May 18 2006 Lancaster County DA Office Refile
Charges General Hours Billed For Legal Work Done On
Pro Se Criminal Case 4 Charges-Harras Dis
Ord,Theft,Harrasment
Time For Court Appearance and Litigation
Jun 23 2006 Meeting with Matt Bomberger, Public
Defender General Hours Billed For Legal Work Done
On Pro Se Criminal Case
Jul 26 2006 Fromal Arraignment Lanaster County
Court of Common PleasTime For Court Appearance
and Litigation
Jul 26 2006 File In Forma Pauperis Granted General
Hours Billed For Legal Work Done On Pro Se Criminal
Case
Aug 2 2006 File Motion Bill of Particulars Discovery
General Hours Billed For Legal Work Done On Pro Se
Criminal Case
Sep 14 2006 Pretrial Conference Judge AllisonTime
For Court Appearance and Litigation
Oct 20 2006 Call of the Trial List Judge Farina Time
For Court Appearance and Litigation
Nov 27 2006 Call of the Trial List Judge FarinaTime
For Court Appearance and Litigation From Lancaster
County Prison
Nov to Dec 2006 Research Billed For Case From
Lancaster County Prison Law Library
Dec 4 2006 Trial Judge Farina Sent to 1250 Fremont
& 220 Stone Hill Rd to get files Time For Court
Appearance and Litigation Dismiss Harassment,
Change to Summa
Dec 5 2007 Trial Time For Court Appearance and
Litigation Guilty Harrasment & Disorderly Conduct,
Not Guilty Thef of Service
Dec 2007 Filed Appeals & Motions General Hours
Billed For Legal Work Done On Pro Se Criminal Appeal
Case From Lancaster County Prison
Jan 4 2007 Notict of Appeal to Superior Court Case
No. MDA 125 General Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case
Jan 26 2007 Meet with Court Reporters Office to Get
Electronic Version of Transcript & ReGeneral Hours
Billed For Legal Work Done On Pro Se Criminal Appeal
Case

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Item Description
Hours Billed Criminal
Appeal

Qty
2

Unit
Price

Debit
Amount

$125.00

Credit
Amount
$250.00

$500.00
Hours Billed For Criminal
Case

12

$125.00

$1,500.00

Court Time Hours Billed

$150.00

$600.00

Court Time Hours Billed

$150.00

$600.00

Court Time Hours Billed

$150.00

$600.00

Court Time Hours Billed


Court Time Hours Billed

4
4

$150.00
$150.00

$600.00
$600.00

Hours Billed For Criminal


Case

$125.00

$625.00

Court Time Hours Billed

$150.00

$600.00

Hours Billed For Criminal


Case

$125.00

$750.00

Hours Billed For Criminal


Case

$125.00

$625.00

Hours Billed For Criminal


Case

$125.00

$625.00

Hours Billed For Criminal


Case

$125.00

$625.00

Hours Billed For Criminal


Case

$125.00

$375.00

Hours Billed For Criminal


Case
Court Time Hours Billed

2
0.1

$125.00
$150.00

$250.00
$15.00
$8,990.00

Hours Billed For Criminal


Case

10

$125.00

$1,250.00

Hours Billed For Criminal


Case
Court Time Hours Billed

2
10

$125.00
$150.00

$250.00
$1,500.00

Hours Billed For Criminal


Case

$125.00

$500.00

Court Time Hours Billed

$150.00

$600.00

Hours Billed For Criminal


Case

$125.00

$250.00

Hours Billed For Criminal


Case

$125.00

$500.00

Court Time Hours Billed

$150.00

$600.00

Court Time Hours Billed

$150.00

$750.00

Court Time Hours Billed

$150.00

$750.00

Research Hours Billed

$75.00

$525.00

Court Time Hours Billed

$150.00

$1,050.00

Court Time Hours Billed

$150.00

$750.00

Hours Billed Criminal


Appeal

$125.00

$750.00

Hours Billed Criminal


Appeal

$125.00

$500.00

Hours Billed Criminal


Appeal

$125.00

$375.00

Page
Page124
6 ofof44355

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Common of PA v S.
Caterbone

Line Description
Feb 7 2007 Meet with Andrew Wagner of Court
Collections Office for Payment of Fines and Costs and
Remove Payment Due
Feb 23 2007 Meet with Andrew Wagner of Court
Collections to Have Payment Due Removed General
Hours Billed For Legal Work Done On Pro Se Criminal
Appeal Case
Common of PA v. S. Caterbone
Aug 2006 Filed U.S. Post Office Correspondence &
Complaint to SRPDTime For Court Appearance and
Litigation
Oct 30 2007 Plead Not Guilty to MDJ Eckert Picked Up
by Constables General Hours Billed For Legal Work
Done On Pro Se Criminal Case
Nov 14 2006 File Habeus Corpus to U.S. District Court
of Eastern District of PA General Hours Billed For
Legal Work Done On Pro Se Criminal Appeal Case
Lanc Pri
Dec 2006 Research Billed For Case From Lancaster
County Prison Law Library
Dec 8 2006 Filed Writ of Mandamus From Lancaster
County PrisonGeneral Hours Billed For Legal Work
Done On Pro Se Criminal Case

Item Description

Unit
Price

Debit
Amount

Hours Billed Criminal


Appeal

$125.00

Hours Billed Criminal


Appeal

$125.00

Credit
Amount
$500.00

$250.00
$11,650.00

Court Time Hours Billed

10

$150.00

$1,500.00

Hours Billed For Criminal


Case

$125.00

$625.00

Hours Billed Criminal


Appeal

$125.00

$875.00

Research Hours Billed

$75.00

$375.00

Hours Billed For Criminal


Case

$125.00

$1,000.00

Jan 4 2007 Filed Motion for Continuance/Change


Venue General Hours Billed For Legal Work Done On Hours Billed For Criminal
Pro Se Criminal Case Moved From Eckert to Stotlzfus Case

$125.00

$375.00

Jan 18 2007 Trial MDJ StoltzfusTime For Court


Appearance and Litigation Guilty Harr, Dis Con, Obs,
Dismiss DUSus Fin Responsi Fine $954 Joe Caterbone Court Time Hours Billed

$150.00

$900.00

$125.00

Jan 25 2007 Filed Trial De Novo Appeal to Lancaster


County Court of Common Pleas General Hours Billed Hours Billed Criminal
For Legal Work Done On Pro Se Criminal Appeal Case Appeal
Common of PA v S. Caterbone
Aug 15 2006 Hearing MDJ Commins Robert M. Fedor
General Hours Billed For Legal Work Done On Pro Se
Criminal Case 2 Girls Walking Guilty Fine $315.66
Dec 15 2006 Summary Appeal Trial Judge Perezous
Found Guilty ?? April 2 Day of Daylight Person Broke
Into 220 Stone Hill Road, Mike on Cell Phone, Kennet
SPoli
Common of PA v S. Caterbone
Jul 14 2006 Hearing MDJ Hamilton General Hours
Billed For Legal Work Done On Pro Se Criminal Case
Fines $367.50
Jul 25 2006 Notice of Summary Appeal to Court of
Common PleasGeneral Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case
Nov 14 2006 Filed Motion for Continuance From
Lancaster County PrisonJudge Cullen Denied General
Hours Billed For Legal Work Done On Pro Se Criminal
Appeal Case
Dec 2006 Lancaster County Prison Law Library
Research Billed For Case
Dec 5 2006 Trial Judge Perezous Granted Motion For
Continuance Time For Court Appearance and
Litigation
Dec 22 2006 Motion for Transcripts Filed from
Lancaster County Prison General Hours Billed For
Legal Work Done On Pro Se Criminal Appeal Case
Jan 21 2007 Filed Motion For Continuance Granted
Judge Perezous General Hours Billed For Legal Work
Done On Pro Se Criminal Appeal Case
Common of PA v S. Caterbone
Dec 22 2007 Filed Writ of Mandamus v. MDJ Eckert
From Lancaster County Prison General Hours Billed
For Legal Work Done On Pro Se Criminal Case

3/20/2007

Qty

Hours Billed For Criminal


Case

$125.00

Hours Billed Criminal


Appeal

$125.00

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

$625.00

$375.00
$1,000.00

Hours Billed For Criminal


Case

$125.00

$1,000.00

Hours Billed Criminal


Appeal

$125.00

$500.00

Hours Billed Criminal


Appeal

$125.00

$375.00

Research Hours Billed

$75.00

$375.00

Court Time Hours Billed

$150.00

$600.00

Hours Billed Criminal


Appeal

$125.00

$250.00

Hours Billed Criminal


Appeal

$125.00

$500.00
$3,600.00

Hours Billed For Criminal


Case

Dec 22 2007 Filed Writ of Mandamus v. MDJ Commins


From Lancaster County Prison General Hours Billed
Hours Billed
For Legal Work Done On Pro Se Criminal Case
Case
Jan 09 2007 Filed Motion for Change of Venue Deinied
Judge Reinaker General Hours Billed For Legal Work Hours Billed
Done On Pro Se Criminal Case
Case
Jan 11 2007 Motion for Continance Filed Denied Judge
Hours Billed
Reinaker General Hours Billed For Legal Work Done
On Pro Se Criminal Case
Case
Jan 17 2007 Motion for Reconsideration Filed Denied
Judge Reinaker General Hours Billed For Legal Work Hours Billed
Done On Pro Se Criminal Case
Case
Common of PA v S. Caterbone
Jan 19 2007 Filed Motion to Proceed In Forma
Pauperis General Hours Billed For Legal Work Done
Hours Billed
On Pro Se Criminal Case
Case
Common of PA v S. Caterbone
Jan 12 2007 File Change of Venue/ Continuance
MDEckert Citations Denied by Judge Cullen General
Hours Billed For Legal Work Done On Pro Se Criminal Hours Billed
Appeal Case
Appeal
Common of PA v S. Caterbone
Jan 05 2007 Filed Application to File Nunc Pro Tunc
for MDJ Simms Citations General Hours Billed For
Legal Work Done On Pro Se Criminal Appeal Case

$625.00
$6,275.00

For Criminal
For Criminal
For Criminal
For Criminal

$125.00

$750.00

$125.00

$750.00

$125.00

$375.00

$125.00

$500.00

$125.00

$500.00
$2,875.00

For Criminal

$125.00

$250.00
$250.00

Criminal

Hours Billed Criminal


Appeal

Page
Page125
7 ofof44355

$125.00

$500.00
$500.00

$125.00

$500.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Common of PA v S. Caterbone

Item Description

Jan 05 2007 Filed Application to File Nunc Pro Tunc


for MDJ Simms Citations General Hours Billed For
Legal Work Done On Pro Se Criminal Appeal Case
Common of PA v S. Caterbone
Jan 05 2007 Filed Application to File Nunc Pro Tunc
for MDJ Simms Citations General Hours Billed For
Legal Work Done On Pro Se Criminal Appeal Case
Common of PA v S. Caterbone
Jan 05 2007 Filed Application to File In Forma
Pauperis for MDJ Simms Citations General Hours
Billed For Legal Work Done On Pro Se Criminal Appeal
Case
Common of PA v S. Caterbone

Hours Billed Criminal


Appeal

Hours Billed Criminal


Appeal

Common of PA v S.
3/22/2007 Caterbone

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Debit
Amount
$500.00

$125.00

Credit
Amount

$500.00

$125.00

$500.00
$500.00

Hours Billed Criminal


Appeal

$125.00

$250.00
$250.00

July 15, 2005 - Certificate of Appeal of STANLEY


CATERBONE from the order of Bankruptcy Judge
Thomas M. Twardowski. (tj, ) (Entered: 07/18/2005) Chapter 11 Appeal Hours
July 15, 2005 - Briefing Schedule 7/18/05 Entered
and copies mailed, (tj, ) (Entered: 07/18/2005)
Chapter 11 Appeal Hours
July 28, 2005 - BRIEF TO ORDER TO DISMISS ON
6/13/05 by STANLEY CATERBONE. (ami, ) (Entered:
07/29/2005)
Chapter 11 Appeal Hours
September 23, 2005 - ORDER TO SHOW CAUSE BY
OCTOBER 3, 2005, WHY IN LIGHT OF DEBTORAPPELLANT'S NOTICE OF APPEAL (BKY. DOCKET #12)
AND BRIEF (DOCKET #3), THIS C
Chapter 11 Appeal Hours
October 3, 2005 - RESPONSE TO THE ORDER TO
SHOW CAUSE WHY THE DEBTOR'S BANKRUPTCY
CASE SHOULD NOT BE REINSTATED by UNITED
STATES TRUSTEE, CERTIFICATE OF SERVICE
Chapter 11 Appeal Hours
October 6, 2005 - ORDER THAT THIS CASE IS
REINSTATED IN THE U.S. BANKRUPTCY COURT FOR
THE EASTERN DISTRICT PROVIDED THAT DEBTORAPPELLANT COMPLY WITH THE RULES
Chapter 11 Appeal Hours
November 7, 2005 - Original Bankruptcy Record
returned to the Bankruptcy Court for the Eastern
District of Pennsylvania, (afm, ) (Entered: 1
1/08/2005)
Chapter 11 Appeal Hours
November 14, 2005 - Letter from U.S. BANKRUPTCY
COURT re: received original record on 11/10/05.
(afm, ) (Entered: 11/14/2005)
Chapter 11 Appeal Hours
Chapter 11 Dismissal Appeal
May 15 2006 File Appeal to Automatic Stay Order of
Judge Fehling to Judge Anita Brody General Hours
Billed For Legal Work Done On Pro Se Criminal Appeal Hours Billed Criminal
Fulton Auto Stay Appeal Case
Appeal
Fulton Auto Stay Appeal
Sept 18, 2006 - Certificate of Appeal of STANLEY J.
CATERBONE, ADVANCED MEDIA GROUP from the
order of Bankruptcy Judge Richard E. Fehling. (tj,)
Chapter 11 Amend
Hours Billed For Civil
Dismissal
(Entered: 09/18
Appeals
October 10, 2007 - Certificate of Appeal of STANLEY
J. CATERBONE, ADVANCED MEDIA GROUP from the
order of Bankruptcy Judge Richard E. Fehling. (tj,)
Hours Billed For Civil
(Entered: 09
Appeals
October 17, 2007 - Brief in Opposition re 3
Appellant's Brief by PPL ELECTRIC UTILITIES.
(HENRY, MICHAEL) Modified on 10/18/2006 (np).
Hours Billed For Civil
(Entered: 10/17/2006)
Appeals
November 15, 2007 - MOTION FOR CONTINUANCE
FILED BY STANLEY J. CATERBONE.(gs) Additional
attachment(s) added on 12/13/2006 (mo,). (Entered: Hours Billed For Civil
11/16/2006) fro
Appeals
General Hours Billed For Legal Work Done On Pro Se Hours Billed For Civil
Civil Appeal Case
Appeals
February 7, 2007 - MOTION FOR CONTINUANCE
FILED BY STANLEY J. CATERBONE, PRO
SE,CERTIFICATE OF SERVICE.(ac, ) (Entered:
Hours Billed For Civil
02/09/2007)
Appeals
February 21, 2007 - ORDER that APPELLANT STANLEY
J. CATERBONE'S MOTION FOR A CONTINUANCE IS
Hours Billed For Civil
GRANTED. APPELLANT MAY FILE A REPLY BRIEF IN
THE ABOVE-CAPTIONED CAS
Appeals

Chapter 11 Amend Dismissal


Jan 4 2007 Filed Notice of Appeal to Superior Court
Filed at Lancaster County Clerk of CoGeneral Hours
Billed For Legal Work Done On Pro Se Criminal Appeal
Case
Jan 11 2007 Filed Motion For Continuance Granted
General Hours Billed For Legal Work Done On Pro Se
Criminal Appeal Case
Feb 12 2997 Filed Concise Statement of Matters
Complainted on Appeal General Hours Billed For Legal
Work Done On Pro Se Criminal Appeal Case

Unit
Price

$500.00

Chapter 11 Dismissal
Appeal

April 13, 2007 - MOTION FOR CONTINUANCE FILED


BY STANLEY J. CATERBONE, PRO SE. (SEE 05-2288,
PAPER NO. 50).(ac, ) (Entered: 04/13/2007)
General Hours Billed For Legal Work Done On Pro Se
Civil Appeal Case

Qty

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals
Hours Billed For Civil
Appeals

$125.00

$500.00

$125.00

$250.00

$125.00

$1,000.00

$125.00

$250.00

$125.00

$375.00

$125.00

$250.00

$125.00

$125.00

$125.00

$375.00
$3,125.00

20

$125.00

$2,500.00
$2,500.00

$125.00

$625.00

$125.00

$625.00

1.5

$125.00

$187.50

$125.00

$250.00

$125.00

$250.00

$125.00

$250.00

$125.00

$125.00

$125.00

$250.00

$125.00

$375.00

$125.00

$375.00
$3,312.50

Hours Billed Criminal


Appeal

$125.00

$375.00

Hours Billed Criminal


Appeal

$125.00

$375.00

Hours Billed Criminal


Appeal

12

$125.00

$1,500.00

Page
Page126
8 ofof44355

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Common of PA v. S.
Caterbone

Line Description
Item Description
Mar 27 2007 Meeting with Lancaster County Clerk of
Courts Review & Correct Index of RecorGeneral Hours
Billed For Legal Work Done On Pro Se Criminal Appeal Hours Billed Criminal
Case
Appeal
Common of PA v S. Caterbone
Jun 28 2006 Hearing Preparation General Hours Billed
For Legal Work Done On Pro Se Criminal Case
Jun 28 2007 Hearing at 1281 S 28th St. Harrisburg
Guilty MDJ Smith Time For Court Appearance and
Litigation
Oct ?? 2006 Phone Call & Letter For Payment of Fine
& Costs General Hours Billed For Legal Work Done On
Pro Se Criminal Case
Jan 1 2007 Letter to MDJ Smith Re Payment of Fines
General Hours Billed For Legal Work Done On Pro Se
Criminal Appeal Case
Jan 15 2007 Filed Application For Leave Nunc Pro
TuncGeneral Hours Billed For Legal Work Done On Pro
Se Criminal Appeal Case
Feb 15 2007 Filed In Forma Pauperis In Dauphin
County Court of Common Pleas Granted General
Hours Billed For Legal Work Done On Pro Se Criminal
Appeal Case
Mar 8 2007 Filed Notice of Appeal to Superior Court in
Dauphin County Court MDA 435-2007 General Hours
Billed For Legal Work Done On Pro Se Criminal Appeal
Case
Common of PA v. S. Caterbone

Mar 25 2007 Filed Docketing Statement to Superior


Court of Pennsylvania General Hours Billed For Legal
Work Done On Pro Se Criminal Appeal Case
Common of PA v S. Caterbone
Mar 27 2007 File Response to Fulton Bank Motion to
Fulton Bank v
Dismiss Case General Hours Billed For Legal Work
Done On Pro Se Civil Appeal Case
3/28/2007 Caterbone, Stan
Fulton Bank v Caterbone, Stan
110/20/2006 - File Federal False Claims Act, No
Complaint Copy Satute FMG, AMG, Global, Radio
Science Laboratories, Power Productions v. ISC,
Federal False Claims Act Attorney General,
11/16/2006 - MOTION for Leave to Proceed in forma
pauperis filed by STANLEY J. CATERBONE.(tj, )
(Entered: 10/23/2006)
11/16/2006 - ORDER THAT PLAINTIFF'S MOTION FOR
LEAVE TO PROCEED IN FORMA PAUPERIS IS
GRANTED. IT IS FURTHER ORDERED THAT THIS
CASE IS DISMISSED FOR FAILURE TO S
COMPLAINT AGAINST ATTORNEY GENERAL,
INTERNATIONAL SIGNAL & CONTROL, PLC FILED BY
STANLEY J. CATERBONE, PRO SE, ADVANCED MEDIA
GROUP, LTD., ADVANCED MEDIA GROUP,
02/07/2007 - MOTION FOR CONTINUANCE FILED BY
STANLEY J. CATERBONE, PRO SE,CERTIFICATE OF
SERVICE.(ac, ) (Entered: 02/09/2007)
Mar 16 2007 Letter to U.S. Senator Arlen Specter
Regarding Obstruciton of Justice General Hours Billed
For Legal Work Done On Pro Se Civil Case
Mar 12 2007 Meet Lisa Owings staffer on Judiciary
Comitte from Senator Specter at Chamber Building
General Hours Billed For Legal Work Done On Pro Se
Civil Case
Mar 13 2007 Letter to Lisa Owings of Senator Specter
Office General Hours Billed For Legal Work Done On
Pro Se Civil Case
Mar 19 2007 Letter to Lisa Owings of Senator Specter
Office General Hours Billed For Legal Work Done On
Pro Se Civil Case
Mar 20 2007 Letter to Lisa Owings of Senator Specter
Office General Hours Billed For Legal Work Done On
Pro Se Civil Case
03/23/2007 - ORDER THAT THE PLAINTIFF SHALL
SUBMIT A COPY OF HIS MOTION FOR CONTINUANCE
BY 4/6/07. SIGNED BY JUDGE MARY A. MCLAUGHLIN
ON 3/22/07. 3/23/07 ENTERE
Common of PA v S.
Caterbone

Qty

Unit
Price

Debit
Amount

$125.00

Credit
Amount

$375.00
$2,625.00

Hours Billed For Criminal


Case

$125.00

$500.00

Court Time Hours Billed

$150.00

$750.00

Hours Billed For Criminal


Case

$125.00

$375.00

Hours Billed Criminal


Appeal

$125.00

$250.00

Hours Billed Criminal


Appeal

$125.00

$500.00

Hours Billed Criminal


Appeal

$125.00

$375.00

Hours Billed Criminal


Appeal

$125.00

$500.00
$3,250.00

Hours Billed Criminal


Appeal

$125.00

$500.00
$500.00

Hours Billed For Civil


Appeals

$125.00

$375.00
$375.00

Civil Litigation Hours


Billed

$125.00

$750.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Mar 24 2007 Letter to Senator Specter General Hours Civil Litigation Hours
Billed For Legal Work Done On Pro Se Civil Case
Billed

$125.00

$250.00

$125.00

$125.00

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

04/05/2007 - ORDER MOTION FOR CONTINUANCE IS


DENIED AS MOOT. ON NOVEMBER 16, 2006, THE
COURT DISMISSED THE CASE FOR FAILURE TO
Civil Litigation Hours
STATE A CLAIM PURUSUANT TO 28
Billed
04/13/2007 - MOTION FOR CONTINUANCE FILED BY
STANLEY J. CATERBONE, PRO SE. (SEE 05-2288,
Civil Litigation Hours
PAPER NO. 50).(ac, ) (Entered:
Billed
04/23/2007 - ORDER THAT PLAINTIFF'S MOTION FOR
CONTINUANCE IS DENIED AS MOOT. SIGNED BY
JUDGE MARY A. MCLAUGHLIN ON 04/16/07.04/16/07
ENTERED AND COPIES MAILED
04/26/2007 - ORDER THAT PLAINTIFF'S REQUEST
FOR AN EX PARTE MEETING IS DENIED. SIGNED BY
JUDGE MARY A. MCLAUGHLIN ON 04/25/07.
05/05/2007 - ADDENDUM TO COMPLAINT BY
STANLEY J. CATERBONE., PRO SE.(ac,) (Entered:
05/07/2007)
Federal False Claims Act

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Page
Page127
9 ofof44355

$250.00
$3,875.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description

Item Description

October 18, 2006 - MOTION for Leave to Proceed in


Caterbone v. Wenger et forma pauperis filed by STANLEY J.
6/1/2007 al
CATERBONE.AFFIDAVIT.(ks,) (Entered: 10/19/2006)
October 18, 2006 - Filed Civil Action re Obstruction of
Justice and RICO
November 17, 2006 - ORDER THAT MOTION FOR
LEAVE TO PROCEED IN FORMA PAUPERIS IS
GRANTED. IT IS FURTHER ORDERED THAT PLAINTIFF
SHALL AMEND HIS COMPLAINT SO AS TO
November 17, 2006 - ORDER THAT PLAINTIFF'S
MOTION FOR CONTINUANCE IS GRANTED. THE
CLERK OF COURT MARK THIS" ACTION CLOSED FOR
STATISTICAL PURPOSES AND PLACE THE
November 17, 2006 - Complaint against
DEFENDANTS MAYNARD HAMILTON, JR, DENISE
COMMINS, RICHARD H. SIMMS, STEVEN MYLIN,
WILLIAM G. REUTER, MICHAEL SMITH, RONALD
January 19,2007 - ORDER THAT THE ABOVECAPTIONED CASE SHALL REMAIN IN CIVIL
SUSPENSE UNTIL 4/19/07. SIGNED BY JUDGE MARY
A. MCLAUGHLIN ON 1/19/07. 1/19/07 ENTER
April 3, 2007 - ADDENDUM TO COMPLAINT filed by
STANLY J. CATERBONE. Cert, of Service. (PRO SE)
(pr, ) (Entered: 04/03/2007)
April 13, 2007 - STANLY J. CATERBONE'S MOTION
FOR CONTINUANCE (#50 in 06-cv-4154).(fdc)
(Entered: 04/13/2007)
April 16, 2007 - ORDER THAT PLAINTIFF'S MOTION
FOR CONTINUANCE IS GRANTED. THIS CASE SHALL
REMAIN IN CIVIL SUSPSENSE UNTIL 6/19/07.
SIGNED BY JUDGE MARY A. MCLA
April 26, 2007 - ORDER THAT THE PLAINTIFF'S
REQUEST FOR AN EX PARTE MEETING IS DENIED.
SIGNED BY JUDGE MARY A. MCLAUGHLIN ON
4/25/07. 4/26/07 ENTERED AND COPIES
May 7, 2007 - Addendum to Complaint by STANLY J.
CATERBONE (#1 1 in 06-CV-4154). (fdc) (Entered:
05/07/2007)
June 18, 2007 - Motion For Continuance
June 25, 2007 - Motion For Continuance Granted,
Provide Status by August 31, 2007
Caterbone v. Wenger et al
Appeal Order Amend
2288 Compl

Chapter 11 PP&L
Dismissal Appe

September 6, 2007 - CIVIL CASE DOCKETED Notice


filed by Stanley J. Caterbone. RECORD, received, (clc
September 8, 2007 - LEGAL DIVISION LETTER SENT
advising appeal has been listed for possible dismissal,
(zm)
September 18, 2007 - APPEARANCE from Attorney
Christopher S. Underhill on behalf of Appellee
Manheim Twp Pol, filed, (clc)
September 18, 2007 - APPEARANCE from Attorney
Stephanie Carfley on behalf of Appellee Fulton Bank,
filed, (clc)
September 18, 2007 - DISCLOSURE STATEMENT on
behalf of Appellee Fulton Bank, filed, (clc)
September 19, 2006 - FOLLOW UP LETTER to Robert
W. Hallinger, Walter H. Swayze, Patricia Baxter,
George M. Gowen and Stuart A. Weiss requesting the
following do
September 25, 2006 - APPEARANCE from Attorney
William H. Howard on behalf of Appellee Avalon Pol
Dept, filed. (Iwc)
September 25, 2006 - APPEARANCE from Attorney
William H. Howard on behalf of Appellee Avalon Pol
Dept, filed. (Iwc)
September 29, 2006 - DISCLOSURE STATEMENT on
behalf of Appellee Comm Natl Bank, filed, (clc)
October 2, 2006 - APPEARANCE from Attorney Robert
W. Hallinger on behalf of Appellee Lancaster Cty
Prison, filed, (clc)
October 11, 2006 - RESPONSE to Legal Division letter
for possible dismissal, on behalf of Appellee Manheim
Twp Pol, filed. Certificate of Service dated 10/6/06
December 1, 2006 - Notice received from district
court that IFF has been granted to Stanley J.
Caterbone . (clc)
April 30, 2007 - Document filed by Appellant titled
"Addendum to Appeal, filed, (clc)
Appeal Order Amend 2288 Compl
September 1, 2007 - Notice of Appeal to U.S. District
Court Anita Brody
September 10, 2007 - Judge Fehling Memorandum
and Opinion Filed
November 27, 2007 - PP&L Motion To Dismiss to
Judge Anita Brody
May 31, 2007 - Judge Anita Brody Reply Letter to M
Henry PP&L Attorney
May 31, 2007 - Appellant Response to Appellee
Motion to Dismiss
June 18, 2007 - Judge Anita Brody ORDER Denial,
Move to Dissmiss Appeal File Appeal to Third Circuit
within 60 days

Advanced
Stan
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Media Group
Chapter
Pro11
Se Billings

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed

Qty

Unit
Price

Debit
Amount

Credit
Amount

$125.00

$375.00

$125.00

$1,000.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$375.00

Civil Litigation Hours


Billed

$125.00

$375.00

$125.00

$375.00

$125.00

$500.00

$125.00

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed
Civil Litigation Hours
Billed

$250.00
$4,750.00

Hours Billed For Civil


Appeals

$125.00

$375.00

Hours Billed For Civil


Appeals

$125.00

$250.00

Hours Billed For Civil


Appeals

$125.00

$125.00

$125.00

$125.00

$125.00

$125.00

Hours Billed For Civil


Appeals

$125.00

$125.00

Hours Billed For Civil


Appeals

$125.00

$125.00

$125.00

$125.00

$125.00

$125.00

Hours Billed For Civil


Appeals

$125.00

$125.00

Hours Billed For Civil


Appeals

$125.00

$250.00

$125.00

$125.00

$125.00

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals

$375.00
$2,375.00

Chapter 11 Appeal Hours

$125.00

$625.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

$250.00

Chapter 11 Appeal Hours

$125.00

$750.00

Chapter 11 Appeal Hours

$125.00

$250.00

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Pro Se Billings
Amount To August 31, 2007
Date

Name
Caterbone v.
Lombardo/Office M

Line Description
Chapter 11 PP&L Dismissal Appe
May 1, 2007 - File Complaint and In Forma Pauperis
Application

Item Description

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed
May 4, 2007 - IFP Denied, Error in Caption
Civil Litigation Hours
May 7, 2007- Refile In Forma Pauperis Application
Billed
Civil Litigation Hours
Billed
May 9, 2007 - In Forma Pauperis Granted
May 24, 2007 - Entry of Appearence Samuel Cortes of Civil Litigation Hours
Rothschild, LLP for Sam Lombardo
Billed
May 29, 2007 - Entry of Appearence and Answer from Civil Litigation Hours
Kirsten Worley for Office Max
Billed
May 31, 2007 - Preliminary Objections filed by
Civil Litigation Hours
Samuel Cortes for Lombardo
Billed
Civil Litigation Hours
June 25, 2007 - File Motion For Continuance
Billed
June 29, 2007 - ORDER by Judge Cullen Denial of
Motion for Continuance Requested to Resubmit with Civil Litigation Hours
Reason
Billed
July 19, 2007 - Request for Interogatories and
Request to Produce Documents Filed by Kirsten
Civil Litigation Hours
Worley for Office Max
Billed
July 24, 2007 - File Answer to Office Max
Civil Litigation Hours
Interrogatories
Billed
Civil Litigation Hours
Billed
Caterbone v. Lombardo/Office M
Caterbone v. U.S.
April 30, 2007 - Bankruptcy Case Docketed. Notice
6/30/2007 Trustee
Chapter 11 Appeal Hours
filed by Stanley J. Caterbone. (clc)
May 10, 2007 - MOTION by Appellant to proceed in
forma pauperis, filed, (clc)
Chapter 11 Appeal Hours
May 10, 2007 - APPEARANCE from Attorney Dave
Adams on behalf of Appellee Kelly B. Stapleton, filed,
(clc)
Chapter 11 Appeal Hours
May 21, 2007 - MOTION by Appellant for Request for
Recusal of Judge Rendell, filed. Answer due 6/4/07.
Certificate of Service dated 5/18/07. (clc)
Chapter 11 Appeal Hours
May 29, 2007 - ORDER (Clerk) granting motion to
proceed in forma pauperis by Appellant. The appeal
will be submitted to a panel for determination under
28 U.S.
Chapter 11 Appeal Hours
June 8, 2007 - MOTION by Appellee to dismiss
appeal, filed. Answer due 6/25/07. Certificate of
Service dated 6/8/07. (clc)
Chapter 11 Appeal Hours
June 19, 2007 - Answer to Motion to Dismiss by
Appellant Stanley J. Caterbone
Chapter 11 Appeal Hours
Caterbone v. U.S. Trustee
June 9, 2006 - Notice of Appeal to U.S. District Court Hours Billed For Civil
Fulton Auto Stay Appeal Judge Brody Appeal Fulton Bank Auto -Stay
Appeals
July 17, 2006 - Response to Fulton Bank Answer to
Hours Billed For Civil
Appeal
Appeals
August 5, 2006 - Judge Anity Brody ORDER Appeal
Hours Billed For Civil
Denied
Appeals
Fulton Auto Stay Appeal
April 5, 2007 - Appeal Hearing via Telephone at the
Caterbone v. DPW Food Lancaster County Assistance Office. CASE NO.
Hours Billed For Civil
8/7/2007 Stamps
#360234927-002
Appeals
April 10, 2007 - Prepare supporting documents for
Hours Billed For Civil
appeal.
Appeals
Hours Billed For Civil
April 9, 2007 - ORDER, Denying Appeal
Appeals
April 26, 2007 - Final Administrative Action Order,
Hours Billed For Civil
DENYING BENEFITS
Appeals
May 9, 2007 - Appeal Hearing and Adjudication via
Telephone held at the Lancaster County Assistance
Hours Billed For Civil
Office.
Appeals
Hours Billed For Civil
June 11, 2007 - Appeals Final Decision/FAA
Appeals
Hours Billed For Civil
Appeals
July 2, 2007 - ORDER Denying Reconsideration
Hours Billed For Civil
Appeals
July 14, 2007 - Appeal to Commonwealth Court
Hours Billed For Civil
Rosen Appeals for Food Stamp Benefits
Appeals
Hours Billed For Civil
Cooksey Appeals for Food Stamps
Appeals
Caterbone v. DPW Food Stamps
Obstruction of Justice - January 16, 2007 - File Civil Action and In Forma
Civil Litigation Hours
EI
Application Caterbone v. Totaro, et al
Billed
Civil Litigation Hours
January 23, 2007 - File Exhibits to Complaint
Billed
January 23, 2007 - Appearence by Stephanie Carfly of Civil Litigation Hours
Barley Snyder, LLP, for Fulton Bank
Billed
January 24, 2007 - ORDER In Forma Pauperis
Civil Litigation Hours
DENIED for Frivilous by Judge Allison
Billed
January 25, 2007 - Notice of Rule 236 Notice sent by Civil Litigation Hours
Prothonetary
Billed
January 29, 2007 - Appeal for Reconsideration to
Civil Litigation Hours
ORDER of January 24, 2007 by Judge Allison
Billed
February 8, 2007 - Preliminary Objections filed by
Stepanie Carfly of Barley Snyder, LLP for Fulton Bank
February 20, 2007 - Brief filed by Stepanie Carfly of
Barley Snyder, LLP for Fulton Bank in support of
Preliminary Objections

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Qty

Unit
Price

Debit
Amount
$2,375.00

Credit
Amount

$125.00

$1,000.00

$125.00

$125.00

$125.00

$250.00

$125.00

$125.00

$125.00

$125.00

$125.00

$250.00

$125.00

$250.00

$125.00

$250.00

$125.00

$125.00

$125.00

$250.00

$125.00

$375.00

$125.00

$125.00
$3,250.00

$125.00

$375.00

$125.00

$250.00

$125.00

$125.00

$125.00

$375.00

$125.00

$125.00

$125.00

$250.00

$125.00

$1,000.00

$125.00

$625.00

$125.00

$1,000.00

$125.00

$2,500.00

$250.00
$1,875.00

$125.00

$625.00

$125.00

$375.00

$125.00

$250.00

$125.00

$375.00

$125.00

$625.00

$125.00

$625.00

$125.00

$250.00

$125.00

$625.00

30

$125.00

$3,750.00

30

$125.00

$3,750.00
$11,250.00

$125.00

$625.00

$125.00

$250.00

$125.00

$125.00

$125.00

$250.00

$125.00

$125.00

$125.00

$500.00

Civil Litigation Hours


Billed

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$250.00

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Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
February 21, 2007 - Judge Allison ORDER DENIED
Appeal for Reconsideration
February 26, 2007 - Rule 236 Notice from
Prothonatary of ORDER dated January 24, 2007 which
was DENIED.
February 28, 2007 - File ANSWER to Fulton Bank's
Preliminary Objections
March 9, 2007- Filing Fees Remained Unpaid for 10
Days after Rule 236 - Judgement of Non Pros Filed by
Prothonatary
March 12, 2007- Christine Munion, Esq., files Entry of
Appearance for Donald Totaro, Lancaster County
Commissioners, Lancaster County Sheriff, Lancaster
County
March 13, 2007 - Praecipe filed to DEFENDANT
FULTON BANK'S PRELIMINARY OBJECTIONS TO
PLAINTIFF'S COMPLAINT TO THE COURT FOR
DISPOSITION WITH CERTIFICATE OF SER

Item Description
Civil Litigation Hours
Billed

Unit
Price

Debit
Amount

$125.00

$250.00

$125.00

$250.00

$125.00

$625.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

$125.00

$125.00

$125.00

$375.00

$125.00

$375.00

$125.00

$125.00

$125.00

$375.00

$125.00

$250.00

$125.00

$625.00

$125.00

$250.00

$125.00

$250.00

$125.00

$125.00

$125.00

$375.00

$125.00

$125.00

$125.00

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals
Hours Billed For Civil
Appeals
Civil Litigation Hours
Billed

Obstruction of Justice - EI

$250.00
$7,375.00

January 8, 2007 - (Emergency) for emergency food


stamp benefits and other benefits filed by stanley j.
8/9/2007 Emergency Food Stamps Caterbone, plaintiff, pro se. And affidavit of financial
January 9, 2007 - Filed: and now, jan 8, 2007, upon
consideration of defendant's request to proceed in
forma pauperis,it is ordered that such request is
granted
January 16, 2007 - Praecipe for Appearance by Diana
Clark, for the Pennsylvania Department of Welfare
January 29, 2007 - Preliminary Objections Filed by
Diana Clark of DPW
January 30, 2007 - Brief in Support of Preliminary
Objections filed by Diana Clark and DPW
February 15, 2007 - File Answer to Preliminary
Objections

Civil Litigation Hours


Billed

$125.00

$625.00

Civil Litigation Hours


Billed

$125.00

$125.00

$125.00

$125.00

$125.00

$250.00

$125.00

$125.00

$125.00

$625.00

$125.00

$375.00

$125.00

Civil Litigation
Billed
Civil Litigation
Billed
Civil Litigation
Billed
Civil Litigation
Billed

Hours
Hours
Hours
Hours

May 29, 2007 - Notice of Appearance Before Business Civil Litigation Hours
Judge for Food Stamps to Reinaker, Recusal
Billed
May 30, 2007 - Notice of Appearance before Business Civil Litigation Hours
Judge, Judge Farina, refused to hear case
Billed
Emergency Food Stamps
Petition To Set Aside
Sale

Credit
Amount

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed

Civil Litigation Hours


Billed
Civil Litigation Hours
March 16, 2007 - Filed Addendum to Defendants List Billed
Civil Litigation Hours
April 24, 2007 - Addendum to Complaint filed
Billed
May 11, 2007 - Judgement-Non Pros filed by Chrisine
Munion for Totaro as directed by Wenger,
Civil Litigation Hours
Prothonotary
Billed
May 24, 2007 - Notice of Appeal to Superior Court of Hours Billed For Civil
the Judgement of Non Pros
Appeals
June 6, 2007 - Notice of Concise Statement of
Matters Complained by June 21, 2007 by Judge
Hours Billed For Civil
Allison
Appeals
June 21, 2007 - Statement of Matters Complained
Hours Billed For Civil
filed
Appeals
July 2, 2007 - Response by Fulton Bank on Statement Hours Billed For Civil
of Matters Complained
Appeals
July 16, 2007 - OPINION filed by Judge Paul K. Allison Hours Billed For Civil
to Superior Court
Appeals
July 17, 2007 - Record Sent to Superior Court by
Lancaster County Prothonatary 950 MDA 951 MDA
July 18, 2007 - ORDER from Superior Court DISMISS
950 & 951
July 24, 2007 - Record Returned from the Superior
Court 950 & 951 Memorandum Filed

Qty

January 2, 2007 - To proceed informa pauperis with


affidavit of financial service filed by Caterbone, pro
se. In support of petition to set aside sale
January 2, 2007 - Caption Caterbone v. Fulton Bank,
Lancaster County Sheriff Department
January 4, 2007 - In Forma Pauperis GRANTED by
Judge Dennis E. Reinaker
January 5, 2007 - Addition to Compliant (Please Add
To Complaint)
January 31, 2007 - Response Of fulton bank to
stanley j. Caterbone's petition to set aside sale of real
estate. Filed by: shawn m. Long, esq. Certificate of
ser

Civil Litigation
Billed
Civil Litigation
Billed
Civil Litigation
Billed
Civil Litigation
Billed

Hours

$250.00
$2,500.00

$125.00

$625.00

$125.00

$125.00

$125.00

$125.00

$125.00

$250.00

Civil Litigation Hours


Billed

$125.00

$250.00

January 31, 2007 - Notice of Meeting Before Business Civil Litigation Hours
Judge Michael Georgelis filed by Shawn Long
Billed

$125.00

$375.00

February 1, 2007 - Meeting before Judge Georgelis


and ORDER TO DISMISS PETITION DENIED

$125.00

$625.00

$125.00

$625.00

$125.00

$125.00

$125.00

$500.00

Hours
Hours
Hours

Civil Litigation Hours


Billed
Civil Litigation Hours
February 6, 2007 - Reply to Response of Fulton Bank Billed
Civil Litigation Hours
February 6, 2007 - Notice of DENIAL to all parties
Billed
February 20, 2007 - From james d. Mccullough,
deputy prothonotary, superior court of pennsylvania.
Returned herein is the notice of appeal received in the Hours Billed For Civil
Appeals
proth

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Pro Se Billings
Amount To August 31, 2007
Date

Name

Fulton v. Caterbone
Foreclosur

Line Description

Item Description
Civil Litigation Hours
Billed

Petition To Set Aside Sale


March 8, 2006 - In mortgage foreclosure filed by
shawn m long esq(ma). The mortgage was recordedin
the office of the recorder of deeds of and for lancaster Civil Litigation Hours
coun
Billed
April 11, 2006 - Complaint. Filed by shawn m. Long,
esq. Reinstated as 1.directed by randall o. Wenger,
prothonotary. (2 copies to atty, 1 copy of complaint
Civil Litigation Hours
wit
Billed
May 1, 2006 - Complaint Served, Civil action
complaint upon stanley caterbone by personal service
Civil Litigation Hours
at lancaster county sheriff's office,50 north duke
Billed
street, lan
Civil Litigation Hours
Billed
May 8, 2006 - Answer to Complaint filed
In support of plaintiff's
motion for judgment on
the pleadings. Filed by
shawn m. Long, esq.
Certificate of service of
June 6, 2006 - Brief
same.
June 6, 2006 - Motion by Fulton for judgement on the Civil Litigation Hours
pleadings filed by Shawn M. Long
Billed
June 28, 2006 - Praecipe filed to assign Plaintiff fulton
bank's motion for summary judgment to the court for Civil Litigation Hours
disposition as unopossed with certific
Billed
June 29, 2006 - ORDER Filed: and now, this 29th day
of june, 2006, upon consideration of plaintiff's motion
for judgment on the pleadings, as well as defendants
July 20, 2006 - Enter judgment on behalf of plaintiff
and against defendant, stanley j. Caterbone in the
amount of $97,425.07, plus continuing interest after
ma
July 25, 2006 - Filed Notice of Appeal to Superior
Court Case No.
July 28, 2006 - A hearing on the defendant's
application for in forma pauperis status will be held in
curtroom 5 at 9:00 a.m. on wednesday, august 9,
2006. By t
July 31, 2006 - Filed. Writ issued. Affidavit of nonmilitary service. Principal: $88,568.53; interest to
03/02/2006 at a rate of $14.56 per diem: $4,442.96;
ne

July 31, 2006 - Affidavit - rule 3129

July 31, 2006 - Notice of


August 1, 2006 - 220 stone hill road, a/k/a lot #5
stone hill rd., conestoga, conestoga township 56
December 20, 2006. Received check from barley
snyder i

Civil Litigation Hours


Billed
Civil Litigation Hours
Billed
Civil Litigation Hours
Billed
Civil Litigation Hours
Billed

Unit
Price

Debit
Amount

$125.00

$250.00
$3,875.00

$125.00

$250.00

$125.00

$125.00

$125.00

$125.00

$125.00

$625.00

Civil Litigation
$1.00
Hours Billed $125.00
2

$125.00

$250.00

$125.00

$250.00

$125.00

$250.00

$125.00

$250.00

$125.00

$250.00

$125.00

$500.00

Civil Litigation Hours


Billed
2
$125.00
7/31/2006 Concerning
the real property located
at 220 stone hill road
a/k/a lot #5 stone hill
road, township of
conestog
Civil Litigation
$1.00
Hours Billed $125.00
7/31/2006 Sheriff's sale
of real property to
stanley j. Caterbone at
220 stone hill road,
conestoga, pa 17516.
Filed by shawn m. Long

Credit
Amount

$250.00

Civil Litigation
$1.00
Hours Billed $125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$125.00

Civil Litigation Hours


Billed

$125.00

$250.00

August 11, 2006 - Filed. The defendant has appealed


my june 29, 2006 order granting the plaintiff's motion Civil Litigation Hours
for judgment on the pleadings. He is directed to file
Billed

$125.00

$125.00

$125.00

$250.00

$125.00

$125.00

$125.00

$250.00

$125.00

$125.00

$125.00

August 8, 2006 - Served Def. Stanley j. Caterbone,


personally, with a notice of sale and/or handbill at
lancaster county courthouse, 50 north duke st
August 11, 2006 - In Forma Pauperis With praecipe to
proceed in forma pauperis presented to court and
court enters order granting in forma pauperis status.
Mich

August 17, 2006 - Of notice of sheriff's sale by mail to


lienholders on aug. 11, 2006. Filed by shawn m.
Civil Litigation
Long, esq. Of the notice of sheriff sale upon defenda Billed
Civil Litigation
August 31, 2006 - Served Writ of Execution
Billed
September 5, 2006-OPINION Pursuant to pa.r.a.p.
1025(a) filed. By the court: michael a. Georgelis,
judge. Copies w/236 notice sent to: stanley j.
Civil Litigation
Caterbone, pro
Billed
September 6, 2006-The superior court of
pennsylvania - no. 1463 mda 2006. Copy of the list of
record documents sent to: stanley j. Caterbone, pro Civil Litigation
se and shawn m
Billed

Caterbone v. Lanc Co
3/1/2007 Prison et

Qty

Hours
Hours

Hours

Hours

January 8, 2006-Certified copy of Order from the


superior court of pennsylvania - no. 1463 mda 2006 Civil Litigation Hours
filed. And now, this fourth day of january, 2007
Billed
Fulton v. Caterbone Foreclosur
Jan 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed

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$500.00
$5,375.00

120

$75.00

$9,000.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Feb 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Mar 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Apr 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
May 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data

Item Description

6/17/2007

Aug 18 2006 RESPONSE to Fulton Bank's motion to


establish deadline for plff to file amended complaint in
accordance with the Court's order of 6/19/06,
Apr 10 2006 Motion for Continuance Caterbone v.
Lancaster County Prison, et al from Lancaster General
Hopital to Judge McLaughlin Granted
Caterbone v. Lanc Co Prison et
Sept 6, 2006 Notice of Appeal Third Circuit Court of
Appeals Case No. 06-3955 Legal Work Done On Pro
Se Civil Appeal Case
Sept 8, 2006 Letter from Third Circuit Legal Division
re Jurisdictional Dismissal
Sept 18 2006 Research and Analysis Notice of
Appearences Fultong Bank, Manheim Twp Police;
Fulton Bank Disclosure Statement
Sept 25 2006 Notice of Appearence Avalon Police
Dept
Sept 25 2006 Notice of Appearance Mellon Bank;
Disclosure Statement
Sept 28 2006 Reponse to Legal Division by Fulton
Bank in support of dismissal
Oct 2 2006 Notice of Appearance Lancaster County
Prison
Oct 11 2006 Reponse to Legal Division by Manheim
Twp Police Chris Underhill in support of dismissal

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Stan
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Media Group
Chapter
Pro11
Se Billings

Unit
Price

Debit
Amount

Credit
Amount

Research Hours Billed

120

$75.00

$9,000.00

Research Hours Billed

120

$75.00

$9,000.00

Research Hours Billed

120

$75.00

$9,000.00

Research Hours Billed

60

$75.00

$4,500.00

10

$125.00

$1,250.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

20

$75.00

$1,500.00

Civil Litigation Hours


Billed

30

$125.00

$3,750.00

Research Hours Billed

30

$75.00

$2,250.00

Court Time Hours Billed

30

$150.00

$4,500.00

Research Hours Billed

30

$75.00

$2,250.00

$125.00

$625.00

Research Hours Billed

30

$75.00

$2,250.00

Research Hours Billed

20

$75.00

$1,500.00

Civil Litigation Hours


Billed

10

$125.00

$1,250.00

Civil Litigation Hours


Billed

10

$125.00

$1,250.00

Research Hours Billed

20

$75.00

$1,500.00

Research Hours Billed

20

$75.00

$1,500.00

Civil Litigation Hours


Billed

15

$125.00

$1,875.00

Civil Litigation Hours


Billed

$125.00

May 2005 General Hours Billed For May 16 2005 Legal


Work Done On Caterbone v. Lancaster County Prison, Civil Litigation Hours
et al U.S. District Court 05-2288 Pro Se Civil Case
Billed
Jun 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Jul 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Aug 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Sep 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Oct 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Nov 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Dec 2005 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Research Hours Billed
Jan 2006 General Hours Billed For Jan 23 2006 Legal
Work Caterbone v. Lancaster County Prison, et al 052288 Case Served Defendants per Judge Mclaughlin
Feb 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Mar 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Apr 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Apr 10 2006 Motion for Continuance Caterbone v.
Lancaster County Prison, et al from Lancaster General
Hopital to Judge McLaughlin Granted
May 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Jun 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Jun 1 2006 Motion for Ex Parte Meeting w/Judge
McLaughlin Caterbone v. Lancaster County Prison, et
al U.S. District Court 05-2288 Case
Jun 14 2006 REPLY to Fulton Bank's response to plff's
motion for ex parte meeting with Honorable Mary A.
McLaughlin,
Jul 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data
Aug 2006 Research Billed for Caterbone v. Lancaster
County Prison, et al U.S. District Court 05-2288 Case
Finding of Facts and Data

Qty

Civil Litigation Hours


Billed

$625.00
$77,375.00

Hours Billed For Civil


Appeals
Hours Billed For Civil
Appeals
Hours Billed
Appeals
Hours Billed
Appeals
Hours Billed
Appeals
Hours Billed
Appeals
Hours Billed
Appeals

For Civil
For Civil
For Civil
For Civil
For Civil

Hours Billed For Civil


Appeals

Page
Page 132
14 ofof44
355

10

$125.00

$1,250.00

$125.00

$375.00

$125.00

$375.00

$125.00

$250.00

$125.00

$250.00

$125.00

$375.00

$125.00

$250.00

$125.00

$375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Advanced Media Group


Pro Se Billings
Amount To August 31, 2007
Date

Name

Line Description
Dec 1 2006 In Forrma Pauperis Application Granted
Apr 30 2007 Addendum to Appeal filed; Letter to
McLaughlin, DARPA, Parula Property Stolen
Caterbone v. Lanc Co Prison et

Item Description
Hours Billed For Civil
Appeals
Hours Billed For Civil
Appeals

Unit
Price

Debit
Amount

$125.00

$125.00

Credit
Amount
$375.00
$625.00

$4,500.00

Total Amount Billed


To Date

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Qty

Page
Page 133
15 ofof44
355

$284,702.50

$283,952.50

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.15

Page: 1a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

3/1/07

7001

05-2288

Jan 2005 Research Billed for


Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Feb 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Mar 2006 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Apr 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
May 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
May 2005 General Hours Billed
Civil Litigation Hours
For May 16 2005 Legal Work
Done On Caterbone v. Lancaster
County Prison, et al U.S. District
Court 05-2288 Pro Se Civil Case
Jun 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Jul 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Aug 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Sep 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Oct 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Nov 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Dec 2005 Research Billed for
Research Hours Billed
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Jan 2006 General Hours Billed
Civil Litigation Hours
For Jan 23 2006 Legal Work
Caterbone v. Lancaster County
Prison, et al 05-2288 Case
Served Defendants per Judge
Mclaughlin
Page
Page 134
16 ofof44
355

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

120.00

75.00

9,000.00

120.00

75.00

9,000.00

120.00

75.00

9,000.00

120.00

75.00

9,000.00

60.00

75.00

4,500.00

10.00

125.00

1,250.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

20.00

75.00

1,500.00

30.00

125.00

3,750.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.26

Page: 2a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

3/1/07

Invoice

7002

Customer ID

05-23059

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Line Description

Item Description

Feb 2006 Research Billed for


Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Mar 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Apr 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Apr 10 2006 Motion for
Continuance Caterbone v.
Lancaster County Prison, et al
from Lancaster General Hopital
to Judge McLaughlin Granted
May 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Jun 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Jun 1 2006 Motion for Ex Parte
Meeting w/Judge McLaughlin
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case
Jun 14 2006 REPLY to Fulton
Bank's response to plff's motion
for ex parte meeting with
Honorable Mary A. McLaughlin,
Jul 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Aug 2006 Research Billed for
Caterbone v. Lancaster County
Prison, et al U.S. District Court
05-2288 Case Finding of Facts
and Data
Aug 18 2006 RESPONSE to
Fulton Bank's motion to establish
deadline for plff to file amended
complaint in accordance with the
Court's order of 6/19/06,
Apr 10 2006 Motion for
Continuance Caterbone v.
Lancaster County Prison, et al
from Lancaster General Hopital
to Judge McLaughlin Granted
Caterbone v. Lanc Co Prison et

Research Hours Billed

30.00

75.00

2,250.00

Court Time Hours Bill

30.00

150.00

4,500.00

Research Hours Billed

30.00

75.00

2,250.00

Civil Litigation Hours

5.00

125.00

625.00

Research Hours Billed

30.00

75.00

2,250.00

Research Hours Billed

20.00

75.00

1,500.00

Civil Litigation Hours

10.00

125.00

1,250.00

Civil Litigation Hours

10.00

125.00

1,250.00

Research Hours Billed

20.00

75.00

1,500.00

Research Hours Billed

20.00

75.00

1,500.00

Civil Litigation Hours

15.00

125.00

1,875.00

Civil Litigation Hours

5.00

125.00

625.00

May 2005 Research Filing of


Chapter 11 Hours Bill
Petition for Bankruptcy, Russell
Kraft, Nettleton & Fenefrock
May 23 2005 File for Chapter 11 Chapter 11 Hours Bill
Bankruptcy Protection in Federal
Bankruptcy Court for the Eastern
District of Pennsylvania, Reading
June 21 2005 Notice of Appeal
Chapter 11 Appeal Ho
Filed by Stanley J. Caterbone
Regarding 6/13/2005
Order
Page
Page
135
17 ofof44
355
Dismissing Case for Debtor's

Qty

Unit Price Debit Amnt

Credit Amn

77,375.00
20.00

125.00

2,500.00

5.00

125.00

625.00

5.00

125.00

625.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.26

Page: 3a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Line Description

Item Description

Dismissing Case for Debtor's


Failure to Timely File Required
Documents to
Jun 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Jul 1 2005 In Reading Appellant Chapter 11 Hours Bill
Designation of Contents For
Inclusion in Record On Appeal,
and Findings of Fact Filed by
Stanley J. Caterbone .
(Attachments: #
Jul 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Aug 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Sep 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Oct 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Nov 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Dec 2005 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Dec 15 2005 Amended Schedules Chapter 11 Hours Bill
F & G Filed by Amended Matrix
Stanley J. Caterbone ; Receipt
Number 20074028, Fee Amount
$26.00. (P., Cathy) (Entered:
12/16/2005)
Jan 2006 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Feb 2006 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Apr 2006 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
May 2006 Administration,
Chapter 11 Hours Bill
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Jun 2006 Administration,
Chapter 11 Hours Bill
Page
Page 136
18 ofof44
355
Reporting and Communication

Qty

Unit Price Debit Amnt

Credit Amn

10.00

125.00

1,250.00

5.00

125.00

625.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

3.00

125.00

375.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00

1,250.00

10.00

125.00 November
1,250.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:50.32

Page: 4a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Jun 29 2006 Hearing Held - RE:
Motion to Dismiss Case, or
Conversion of Case to Chapter 7
Filed by United States Trustee (
Jul 2006 Administration,
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Aug 2006 Administration,
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Sep 2006 Administration,
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
Jan 2007 Administration,
Reporting and Communication
with Creditors and Accounts
Payables for Chapter 11
Bankruptcy Case 05-23059
AMG Chapter 11 Bankruptcy

3/16/07

3/16/07

06-cv-5138

1462-MDA-2006

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

Court Time Hours Bill

7.00

150.00

1,050.00

Chapter 11 Hours Bill

10.00

125.00

1,250.00

Chapter 11 Hours Bill

10.00

125.00

1,250.00

Chapter 11 Hours Bill

10.00

125.00

1,250.00

Chapter 11 Hours Bill

10.00

125.00

1,250.00

25,800.00

Nov 20, 2006 - General Hours


Billed For Legal Work Done On
Pro Se Civil Appeal Case
Harbeas Corpus filed from
Lancaster County Prison on
November 17, 2006
January 19, 2007 - ADDENDUM
to 2241 Habeas Corpus Petition
by STANLEY J. CATERBONE.
Certificate of Service, (gs)
(Entered: 01/22/2007)
April 17, 2007 - ORDER THAT
THE CLERK SHALL
PROMPTLY FURNISH
PETITIONER WITH THE IN
FORMA PAUPERIS
APPLICATION FORM AND
PETITIONER SHALL EITHER
COMPLETE AND RET
May 31, 2007 - EXHIBIT to 28
U.S.C. Section 2241 Habeas
Corpus Petition by STANLEY J.
CATERBONE. Certificate of
Service (gs) (Entered:
06/01/2007)
June 4, 2007 - EXHIBIT to
U.S.C. Sec. 2241 Habeas Copus
Petition by STANLEY J.
CATERBONE. (gs) (Entered:
06/04/2007)
Federal Habeau Corpus

Hours Billed For Civil

15.00

125.00

1,875.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

2.00

125.00

250.00

Aug 2006 General Hours Billed


For Legal Work Done On Pro Se
Civil Case
Sep 2006 General Hours Billed
For Legal Work Done On Pro Se
Civil Case
Caterbone v. Penn DOT

Civil Litigation Hours

10.00

125.00

1,250.00

Civil Litigation Hours

8.00

125.00

1,000.00

3,000.00

3/16/07
CI-06-07376
Hours
Billed
Civil Litigation Hours
Stan
Advanced
J. Caterbone
Media Group
Chapter
Pro11
Se Billings Aug 2 2006 General
Page
Page
137
19
ofof44
355
For Legal Work Done On Pro Se

2,250.00
10.00

125.00 November
1,250.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:50.37

Page: 5a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
For Legal Work Done On Pro Se
Civil Case Filed Complaint
Aug 24 2006 General Hours
Billed For Legal Work Done On
Pro Se Civil Case Filed Default
Notice
Caterbone v. Caterbone,Michael

3/16/07

3/16/07

3/16/07

CI-06-06658

CI-06-07188

CI-06-03401

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Item Description

Qty

Civil Litigation Hours

2.00

Unit Price Debit Amnt

125.00

Credit Amn

250.00

1,500.00

Jul 14 2006 General Hours Billed


For Legal Work Done On Pro Se
Civil Case Filed Complaint & In
Forma Pauperis Denied by
Georgelis
Aug 25 General Hours Billed For
Legal Work Done On Pro Se
Civil Case Refiled In Forma
Pauperis Granted by Cullen
Sep 5 2006 General Hours Billed
For Legal Work Done On Pro Se
Civil Appeal Case Filed Appeal
to Superior Court of
Pennsylvania
General Hours Billed For Legal
Work Done On Pro Se Civil
Appeal Case Transfered from
Superior Court to Commonwealth
Court of Common Pleas
Caterbone v. Penn DOT

Civil Litigation Hours

15.00

125.00

1,875.00

Civil Litigation Hours

5.00

125.00

625.00

Hours Billed For Civil

8.00

125.00

1,000.00

Hours Billed For Civil

2.00

125.00

250.00

Jul 26 2006 General Hours Billed


For Legal Work Done On Pro Se
Civil Case Filed Complaint with
Advanced Media Group
10 Aug 2006 General Hours
Billed For Legal Work Done On
Pro Se Chapter 11 Case
Transfered to Chapter 11 Case by
PP&L
Caterbone v. PP&L Electric

Civil Litigation Hours

8.00

125.00

1,000.00

Chapter 11 Hours Bill

1.00

125.00

125.00

3,750.00

Feb 2005 General Hours Billed


Civil Litigation Hours
For Legal Work Done On Pro Se
Civil Case Meetings &
Communications with Chief of
Southern Regional Police Fiorill
Mar 2005 General Hours Billed
Civil Litigation Hours
For Legal Work Done On Pro Se
Civil Case Meetings &
Communications with Chief of
Southern Regional Police Fiorill
Apr 4 2006 General Hours Billed Civil Litigation Hours
For Legal Work Done On Pro Se
Civil Case Prepared Complaint
and Email to Don Totaro,
Lancaster County DA
Apr 11 2006 General Hours
Civil Litigation Hours
Billed For Legal Work Done On
Pro Se Civil Case Filed
Complaint
Apr 28 2006 Ammend Complaint Civil Litigation Hours
General Hours Billed For Legal
Work Done On Pro Se Civil Case
May 15 2006 General Hours
Civil Litigation Hours
Billed For Legal Work Done On
Pro Se Civil Case Certificate of
Service Personal Delivery to
William Cambell of Quarryville
Jun 10 2006 Motion for
Civil Litigation Hours
Continuance General Hours
Billed For Legal Work Done On
Pro Se Civil CasePage
Page 138
20 ofof44
355

1,125.00
15.00

125.00

1,875.00

5.00

125.00

625.00

4.00

125.00

500.00

20.00

125.00

2,500.00

4.00

125.00

500.00

5.00

125.00

625.00

3.00

125.00

375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.42

Page: 6a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

3/16/07

3/16/07

3/16/07

Invoice

Customer ID

CI-06-08490

CI-06-08742

CI-06-07330

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Line Description

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

Jun 15 2006 Reponsive Brief to


Preliminary Objections General
Hours Billed For Legal Work
Done On Pro Se Civil Case
Jul 25 2006 Appealed to Superior
Court of Pennsylvania General
Hours Billed For Legal Work
Done On Pro Se Civil Appeal
Case
Aug 09 Lancaster County Court
of Common Pleas Time For
Court Appearance and Litigation
Shawn Long Appeared at
Defendants Table before Court,
walked out
Oct 30 2006 Filed Amended
Complaint from Bausman Post
Office, General Hours Billed For
Legal Work Done On Pro Se
Civil Appeal Case
Nov 7 2006 Filed for
Continuance from Lancaster
County Prison General Hours
Billed For Legal Work Done On
Pro Se Civil Case
Caterbone v. Southern Regional

Civil Litigation Hours

12.00

125.00

1,500.00

Hours Billed For Civil

10.00

125.00

1,250.00

Court Time Hours Bill

4.00

150.00

600.00

Hours Billed For Civil

12.00

125.00

1,500.00

Civil Litigation Hours

2.00

125.00

250.00

Sep 1 2006 Complaint & In


Forma Pauperis Filed General
Hours Billed For Legal Work
Done On Pro Se Civil Case IFP
Granted Judge Ashworth
Mar 26 2007 File Response to
Preliminary Objections to
Lancaster County Court of
Common Pleas General Hours
Billed For Legal Work Done On
Pro Se Civil Case
Caterbone v. Millersville Poli

Civil Litigation Hours

15.00

125.00

1,875.00

Civil Litigation Hours

20.00

125.00

2,500.00

12,100.00

4,375.00

Sep 11 2006 Filed Complaint &


Civil Litigation Hours
In Forma Pauperis General Hours
Billed For Legal Work Done On
Pro Se Civil Case IFP Denied by
Judge Reinaker
Sep 14 2006 Second In Forma
Civil Litigation Hours
Pauperis Application Filed &
Approved by Judge Joseph
Madenspacher
Caterbone v. Benjamin Roda

8.00

125.00

1,000.00

4.00

125.00

500.00

Aug 1 2006 Complaint &


Civil Litigation Hours
Informa Pauperis Filed with
Advanced Media Group General Hours Billed For Legal
Work Done On Pro Se Civil
Case, IFP Granted by Georgeli
Aug 24 2006 Important Notice of Civil Litigation Hours
Default Filed - General Hours
Billed For Legal Work Done On
Pro Se Civil Case
Sep 27 2006 Filed Reply to
Civil Litigation Hours
Preliminary Objections - General
Hours Billed For Legal Work
Done On Pro Se Civil Case
Oct 23 Filed Brief in Support of
Civil Litigation Hours
Arbitration - General Hours
Billed For Legal Work Done On
Pro Se Civil Case
Nov 7 2006 Filed Motion for 60
Civil Litigation Hours
Day Continuance Page
- General
Page
139
21 ofof44
355
Hours Billed For Legal Work

20.00

125.00

2,500.00

3.00

125.00

375.00

7.00

125.00

875.00

5.00

125.00

625.00

125.00

250.00

1,500.00

2.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.42

Page: 7a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Hours Billed For Legal Work


Done On Pro Se Civil Case
Mar 7 2007 Filed Amended
Civil Litigation Hours
Complaint - General Hours Billed
For Legal Work Done On Pro Se
Civil Case
Caterbone v. Harleysville et
3/16/07

3/16/07

3/16/07

3/17/07

3/17/07

3/18/07

CI-05-03403

CI-06-03349

CI-06-04939

TR-0003557-2006

TR-0004428-2006

CP-36-SA0000141-2005

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Qty

7.00

Unit Price Debit Amnt

125.00

Credit Amn

875.00

5,500.00

Apr 11 2006 Filed Complaint Civil Litigation Hours


General Hours Billed For Legal
Work Done On Pro Se Civil Case
Jun 6 2006 Filed Important
Civil Litigation Hours
Notice of Default - General
Hours Billed For Legal Work
Done On Pro Se Civil Case
Caterbone v. Grassell, Thomas

15.00

125.00

1,875.00

4.00

125.00

500.00

Apr 10 2006 Filed Complaint,


Civil Litigation Hours
walked to Courthouse directly
after discharge from Hospital General Hours Billed For Legal
Work Done On Pro Se Civil Case
Apr 28 2006 Filed Amended
Civil Litigation Hours
Complaint - General Hours Billed
For Legal Work Done On Pro Se
Civil Case
Caterbone v. Lancaster General

25.00

125.00

3,125.00

8.00

125.00

1,000.00

May 24 2006 Filed Complaint & Civil Litigation Hours


In Forma Pauperis Application General Hours Billed For Legal
Work Done On Pro Se Civil Case
IFP Denied by Judge Reinaker
Caterbone v. Pflumm,Mike et al

8.00

2006 General Hours Billed For


Hours Billed For Crim
Legal Work Done On Pro Se
Criminal Case Downtown
Lancaster Parking Meter
Violation MDJ Simms
2006 Time For Court Appearance Court Time Hours Bill
and Litigation For Parking Meter
Violation
Common of PA v. S. Caterbone

5.00

125.00

625.00

3.00

150.00

450.00

Aug 2006 General Hours Billed


For Legal Work Done On Pro Se
Criminal Case Downtown
Lancaster Parking Meter
Violation MDJ Simms
Oct 5 2006 Time For Court
Appearance and Litigation MDJ
Simms Parking Meter Violation
Common of PA v. S. Caterbone

Hours Billed For Crim

5.00

125.00

625.00

Court Time Hours Bill

3.00

150.00

450.00

May 10 2005 General Hours


Hours Billed For Crim
Billed For Legal Work Done On
Pro Se Criminal Case
18$2709$$A3 Harassment w/Tim
Decker Killing of Cat SRPD
Humane Legue Witness
Sep 28 2005 General Hours
Hours Billed Criminal
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Notice of Appeal Stolen From
Mail, Never Appeared For Trial,
Judge Allison
Fines $442.00 Paid General
Hours Billed Criminal
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Page
Page 140
22 ofof44
355

2,375.00

4,125.00
125.00

1,000.00

1,000.00

1,075.00

1,075.00
10.00

125.00

1,250.00

3.00

125.00

375.00

2.00

125.00

250.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.59

Page: 8a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

Common of PA v. S. Caterbone
3/18/07

3/18/07

CP-36-MD0000010-2007

CP-36-CR0003179-2006

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Jan 09 2007 General Hours


Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Filed Nunc Pro Tunc, Denied by
Reainaker
Jan 19 2007 General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Refiled, Denied Again
Common of PA v. S. Caterbone

Credit Amn

1,875.00
Hours Billed Criminal

2.00

125.00

250.00

Hours Billed Criminal

2.00

125.00

250.00

Jul 5 2006 PrelimiHearing


Hours Billed For Crim
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case MDJ Hamilton, Fire M.
Bomberger, Public Defender,
MDJ Hamilton Guilty
Oct 12 2006 Pretrial Conference Court Time Hours Bill
Case Continued Judge Allison
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case $75$3733$$A M2
Nov 09 2006 Pretrial Conference Court Time Hours Bill
Case Continued Judge Allison
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case From Lanc Co Prison
Dec 14 2006 Call of the Trial List Court Time Hours Bill
Continued Judge Ashworth
(Cullen) General Hours Billed
For Legal Work Done On Pro Se
Criminal Case From Lanc Co
Prison
Jan 22 2007 Call of the Trial List Court Time Hours Bill
Scheduled for Trial Judge Farina
(Cullen) General Hours Billed
For Legal Work Done On Pro Se
Criminal Case Janice Longer
Appo
Time For Court Appearance and Court Time Hours Bill
Litigation
Feb 23 2006 Complaint Filed to
Hours Billed For Crim
Lancaster County Bar v. Janice
Longer General Hours Billed For
Legal Work Done On Pro Se
Criminal Case
Feb 26 Call of the Trial List
Court Time Hours Bill
Scheduled for Trial General
Hours Billed For Legal Work
Done On Pro Se Criminal Case
Feb 28 2006 Filed Response to
Hours Billed For Crim
Longer Petition to Withdraw
From Case General Hours Billed
For Legal Work Done On Pro Se
Criminal Case
Mar 1 2007 General Hours Billed Hours Billed For Crim
For Legal Work Done On Pro Se
Criminal Case Meeting with
Janice Longer To Prepare
Mar 4 2007 Trial Court Judge
Hours Billed For Crim
Cullen Continued Case to April
Court ScheduleTime For Court
Appearance and Litigation
Mar 4 2007 File Supreme Court
Hours Billed For Crim
Diciplinary Complaint v. Janice
Longer General Hours Billed For
Legal Work Done On Pro Se
Criminal Case
Mar 22 2007 Research
& 141
Review
Hours Billed For Crim
Page
Page
23 ofof44
355
Pa Consolodated Statutes

500.00
12.00

125.00

1,500.00

4.00

150.00

600.00

4.00

150.00

600.00

4.00

150.00

600.00

4.00

150.00

600.00

4.00

150.00

600.00

5.00

125.00

625.00

4.00

150.00

600.00

6.00

125.00

750.00

5.00

125.00

625.00

5.00

125.00

625.00

5.00

125.00

625.00

3.00

125.00 November
375.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:50.64

Page: 9a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Pa Consolodated Statutes
Annotated at Law Library
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Mar 26 Letter to Janice Longer & Hours Billed For Crim
Review Motion to Dismiss
QuashGeneral Hours Billed For
Legal Work Done On Pro Se
Criminal Case
Court Time Hours Bill
Common of PA v. S. Caterbone
3/18/07

CP-36-CR0002843-2006

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Dec 5 2005 Preliminary Hearing Hours Billed For Crim


Judge Reuter, Bezzard had to
Refile or Dismiss General Hours
Billed For Legal Work Done On
Pro Se Criminal Case East
Lampeter Twp
May 18 2006 Lancaster County
Hours Billed For Crim
DA Office Refile Charges
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case 4 Charges-Harras Dis
Ord,Theft,Harrasment
Time For Court Appearance and Court Time Hours Bill
Litigation
Jun 23 2006 Meeting with Matt
Hours Billed For Crim
Bomberger, Public Defender
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Jul 26 2006 Fromal Arraignment Court Time Hours Bill
Lanaster County Court of
Common PleasTime For Court
Appearance and Litigation
Jul 26 2006 File In Forma
Hours Billed For Crim
Pauperis Granted General Hours
Billed For Legal Work Done On
Pro Se Criminal Case
Aug 2 2006 File Motion Bill of
Hours Billed For Crim
Particulars Discovery General
Hours Billed For Legal Work
Done On Pro Se Criminal Case
Sep 14 2006 Pretrial Conference Court Time Hours Bill
Judge AllisonTime For Court
Appearance and Litigation
Oct 20 2006 Call of the Trial List Court Time Hours Bill
Judge Farina Time For Court
Appearance and Litigation
Nov 27 2006 Call of the Trial
Court Time Hours Bill
List Judge FarinaTime For Court
Appearance and Litigation From
Lancaster County Prison
Nov to Dec 2006 Research Billed Research Hours Billed
For Case From Lancaster County
Prison Law Library
Dec 4 2006 Trial Judge Farina
Court Time Hours Bill
Sent to 1250 Fremont & 220
Stone Hill Rd to get files Time
For Court Appearance and
Litigation Dismiss Harassment,
Change to Summa
Dec 5 2007 Trial Time For Court Court Time Hours Bill
Appearance and Litigation Guilty
Harrasment & Disorderly
Conduct, Not Guilty Thef of
Service
Dec 2007 Filed Appeals &
Hours Billed Criminal
Motions General Hours Billed
For Legal Work Done
On142
Pro of
Se
Page
Page
24
of44
355
Criminal Appeal Case From

Qty

Unit Price Debit Amnt

2.00

125.00

0.10

150.00

Credit Amn

250.00

15.00
8,990.00

10.00

125.00

1,250.00

2.00

125.00

250.00

10.00

150.00

1,500.00

4.00

125.00

500.00

4.00

150.00

600.00

2.00

125.00

250.00

4.00

125.00

500.00

4.00

150.00

600.00

5.00

150.00

750.00

5.00

150.00

750.00

7.00

75.00

525.00

7.00

150.00

1,050.00

5.00

150.00

750.00

6.00

125.00

750.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.75

Page: 10a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
Criminal Appeal Case From
Lancaster County Prison
Jan 4 2007 Notict of Appeal to
Superior Court Case No. MDA
125 General Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Jan 26 2007 Meet with Court
Reporters Office to Get
Electronic Version of Transcript
& ReGeneral Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Feb 7 2007 Meet with Andrew
Wagner of Court Collections
Office for Payment of Fines and
Costs and Remove Payment Due
Feb 23 2007 Meet with Andrew
Wagner of Court Collections to
Have Payment Due Removed
General Hours Billed For Legal
Work Done On Pro Se Criminal
Appeal Case
Common of PA v. S. Caterbone

3/18/07

3/18/07

CP-36-SA0000028-2007

CP-36-SA0000028-2007

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Aug 2006 Filed U.S. Post Office


Correspondence & Complaint to
SRPDTime For Court
Appearance and Litigation
Oct 30 2007 Plead Not Guilty to
MDJ Eckert Picked Up by
Constables General Hours Billed
For Legal Work Done On Pro Se
Criminal Case
Nov 14 2006 File Habeus Corpus
to U.S. District Court of Eastern
District of PA General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Lanc Pri
Dec 2006 Research Billed For
Case From Lancaster County
Prison Law Library
Dec 8 2006 Filed Writ of
Mandamus From Lancaster
County PrisonGeneral Hours
Billed For Legal Work Done On
Pro Se Criminal Case
Jan 4 2007 Filed Motion for
Continuance/Change Venue
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case Moved From Eckert to
Stotlzfus
Jan 18 2007 Trial MDJ
StoltzfusTime For Court
Appearance and Litigation Guilty
Harr, Dis Con, Obs, Dismiss
DUSus Fin Responsi Fine $954
Joe Caterbone
Jan 25 2007 Filed Trial De Novo
Appeal to Lancaster County
Court of Common Pleas General
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Common of PA v S. Caterbone

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

Hours Billed Criminal

4.00

125.00

500.00

Hours Billed Criminal

3.00

125.00

375.00

Hours Billed Criminal

4.00

125.00

500.00

Hours Billed Criminal

2.00

125.00

250.00

11,650.00
Court Time Hours Bill

10.00

150.00

1,500.00

Hours Billed For Crim

5.00

125.00

625.00

Hours Billed Criminal

7.00

125.00

875.00

Research Hours Billed

5.00

75.00

375.00

Hours Billed For Crim

8.00

125.00

1,000.00

Hours Billed For Crim

3.00

125.00

375.00

Court Time Hours Bill

6.00

150.00

900.00

Hours Billed Criminal

5.00

125.00

625.00

Aug 15 2006 Hearing MDJ


Hours Billed For Crim
Commins Robert M. Fedor
General Hours Billed
For143
Legal
Page
Page
25
ofof44
355
Work Done On Pro Se Criminal

6,275.00
5.00

125.00

625.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.86

Page: 11a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Work Done On Pro Se Criminal


Case 2 Girls Walking Guilty Fine
$315.66
Dec 15 2006 Summary Appeal
Hours Billed Criminal
Trial Judge Perezous Found
Guilty ?? April 2 Day of Daylight
Person Broke Into 220 Stone Hill
Road, Mike on Cell Phone,
Kennet SPoli
Common of PA v S. Caterbone
3/18/07

3/18/07

CP-36-CR0000160-2006

CP-36-MD0000006-2007

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Jul 14 2006 Hearing MDJ


Hamilton General Hours Billed
For Legal Work Done On Pro Se
Criminal Case Fines $367.50
Jul 25 2006 Notice of Summary
Appeal to Court of Common
PleasGeneral Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Nov 14 2006 Filed Motion for
Continuance From Lancaster
County PrisonJudge Cullen
Denied General Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Dec 2006 Lancaster County
Prison Law Library Research
Billed For Case
Dec 5 2006 Trial Judge Perezous
Granted Motion For Continuance
Time For Court Appearance and
Litigation
Dec 22 2006 Motion for
Transcripts Filed from Lancaster
County Prison General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Jan 21 2007 Filed Motion For
Continuance Granted Judge
Perezous General Hours Billed
For Legal Work Done On Pro Se
Criminal Appeal Case
Common of PA v S. Caterbone

Qty

3.00

Unit Price Debit Amnt

125.00

Credit Amn

375.00

1,000.00

Hours Billed For Crim

8.00

125.00

1,000.00

Hours Billed Criminal

4.00

125.00

500.00

Hours Billed Criminal

3.00

125.00

375.00

Research Hours Billed

5.00

75.00

375.00

Court Time Hours Bill

4.00

150.00

600.00

Hours Billed Criminal

2.00

125.00

250.00

Hours Billed Criminal

4.00

125.00

500.00

Dec 22 2007 Filed Writ of


Hours Billed For Crim
Mandamus v. MDJ Eckert From
Lancaster County Prison General
Hours Billed For Legal Work
Done On Pro Se Criminal Case
Dec 22 2007 Filed Writ of
Hours Billed For Crim
Mandamus v. MDJ Commins
From Lancaster County Prison
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Jan 09 2007 Filed Motion for
Hours Billed For Crim
Change of Venue Deinied Judge
Reinaker General Hours Billed
For Legal Work Done On Pro Se
Criminal Case
Jan 11 2007 Motion for
Hours Billed For Crim
Continance Filed Denied Judge
Reinaker General Hours Billed
For Legal Work Done On Pro Se
Criminal Case
Jan 17 2007 Motion for
Hours Billed For Crim
Reconsideration Filed Denied
Judge Reinaker General Hours
Billed For Legal Work Done On
Pro Se Criminal Case
Page
Page 144
26 ofof44
355

3,600.00
6.00

125.00

750.00

6.00

125.00

750.00

3.00

125.00

375.00

4.00

125.00

500.00

4.00

125.00

500.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:50.97

Page: 12a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

Common of PA v S. Caterbone
3/18/07

3/20/07

3/20/07

3/20/07

3/20/07

3/20/07

3/20/07

CP-36-CR0000055-2006

CP-36-CR0000051-2007

CP-36-CR0000012-2007

CP-36-CR0000011-2007

CP-36-CR0000010-2007

CP-36-CR0000011-2007

05-3689

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Jan 19 2007 Filed Motion to


Proceed In Forma Pauperis
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Common of PA v S. Caterbone

Credit Amn

2,875.00
Hours Billed For Crim

2.00

125.00

250.00

250.00

Jan 12 2007 File Change of


Hours Billed Criminal
Venue/ Continuance MDEckert
Citations Denied by Judge Cullen
General Hours Billed For Legal
Work Done On Pro Se Criminal
Appeal Case
Common of PA v S. Caterbone

4.00

Jan 05 2007 Filed Application to


File Nunc Pro Tunc for MDJ
Simms Citations General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Common of PA v S. Caterbone

Hours Billed Criminal

4.00

Jan 05 2007 Filed Application to


File Nunc Pro Tunc for MDJ
Simms Citations General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Common of PA v S. Caterbone

Hours Billed Criminal

Jan 05 2007 Filed Application to


File Nunc Pro Tunc for MDJ
Simms Citations General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Common of PA v S. Caterbone

Hours Billed Criminal

Jan 05 2007 Filed Application to


File In Forma Pauperis for MDJ
Simms Citations General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Common of PA v S. Caterbone

Hours Billed Criminal

125.00

500.00

500.00
125.00

500.00

500.00
4.00

125.00

500.00

500.00
4.00

125.00

500.00

500.00

July 15, 2005 - Certificate of


Chapter 11 Appeal Ho
Appeal of STANLEY
CATERBONE from the order of
Bankruptcy Judge Thomas M.
Twardowski. (tj, ) (Entered:
07/18/2005)
July 15, 2005 - Briefing Schedule Chapter 11 Appeal Ho
7/18/05 Entered and copies
mailed, (tj, ) (Entered:
07/18/2005)
July 28, 2005 - BRIEF TO
Chapter 11 Appeal Ho
ORDER TO DISMISS ON
6/13/05 by STANLEY
CATERBONE. (ami, ) (Entered:
07/29/2005)
September 23, 2005 - ORDER
Chapter 11 Appeal Ho
TO SHOW CAUSE BY
OCTOBER 3, 2005, WHY IN
LIGHT OF
DEBTOR-APPELLANT'S
NOTICE OF APPEAL (BKY.
DOCKET #12) AND BRIEF
(DOCKET #3), THIS C
October 3, 2005 - RESPONSE
Chapter 11 Appeal Ho
TO THE ORDER TO SHOW
CAUSE WHY THE
DEBTOR'S
Page
Page
145
27 ofof44
355
BANKRUPTCY CASE

2.00

125.00

250.00

250.00
4.00

125.00

500.00

2.00

125.00

250.00

8.00

125.00

1,000.00

2.00

125.00

250.00

3.00

125.00

375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.03

Page: 13a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

BANKRUPTCY CASE
SHOULD NOT BE
REINSTATED by UNITED
STATES TRUSTEE,
CERTIFICATE OF SERVICE
October 6, 2005 - ORDER THAT Chapter 11 Appeal Ho
THIS CASE IS REINSTATED
IN THE U.S. BANKRUPTCY
COURT FOR THE EASTERN
DISTRICT PROVIDED THAT
DEBTOR- APPELLANT
COMPLY WITH THE RULES
November 7, 2005 - Original
Chapter 11 Appeal Ho
Bankruptcy Record returned to
the Bankruptcy Court for the
Eastern District of Pennsylvania,
(afm, ) (Entered: 1 1/08/2005)
November 14, 2005 - Letter from Chapter 11 Appeal Ho
U.S. BANKRUPTCY COURT
re: received original record on
11/10/05. (afm, ) (Entered:
11/14/2005)
Chapter 11 Dismissal Appeal
3/20/07

3/20/07

06-1538

06-4154

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

May 15 2006 File Appeal to


Automatic Stay Order of Judge
Fehling to Judge Anita Brody
General Hours Billed For Legal
Work Done On Pro Se Criminal
Appeal Case
Fulton Auto Stay Appeal

Hours Billed Criminal

Sept 18, 2006 - Certificate of


Hours Billed For Civil
Appeal of STANLEY J.
CATERBONE, ADVANCED
MEDIA GROUP from the order
of Bankruptcy Judge Richard E.
Fehling. (tj,) (Entered: 09/18
October 10, 2007 - Certificate of Hours Billed For Civil
Appeal of STANLEY J.
CATERBONE, ADVANCED
MEDIA GROUP from the order
of Bankruptcy Judge Richard E.
Fehling. (tj,) (Entered: 09
October 17, 2007 - Brief in
Hours Billed For Civil
Opposition re 3 Appellant's Brief
by PPL ELECTRIC UTILITIES.
(HENRY, MICHAEL) Modified
on 10/18/2006 (np). (Entered:
10/17/2006)
November 15, 2007 - MOTION
Hours Billed For Civil
FOR CONTINUANCE FILED
BY STANLEY J.
CATERBONE.(gs) Additional
attachment(s) added on
12/13/2006 (mo,). (Entered:
11/16/2006) fro
General Hours Billed For Legal
Hours Billed For Civil
Work Done On Pro Se Civil
Appeal Case
February 7, 2007 - MOTION
Hours Billed For Civil
FOR CONTINUANCE FILED
BY STANLEY J. CATERBONE,
PRO SE,CERTIFICATE OF
SERVICE.(ac, ) (Entered:
02/09/2007)
February 21, 2007 - ORDER that Hours Billed For Civil
APPELLANT STANLEY J.
CATERBONE'S MOTION FOR
A CONTINUANCE IS
GRANTED. APPELLANT
Page
Page 146
28MAY
ofof44
355
FILE A REPLY BRIEF IN THE

Qty

Unit Price Debit Amnt

Credit Amn

2.00

125.00

250.00

1.00

125.00

125.00

3.00

125.00

375.00

3,125.00
20.00

125.00

2,500.00

2,500.00
5.00

125.00

625.00

5.00

125.00

625.00

1.50

125.00

187.50

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

1.00

125.00

125.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.08

Page: 14a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
FILE A REPLY BRIEF IN THE
ABOVE-CAPTIONED CAS
April 13, 2007 - MOTION FOR
CONTINUANCE FILED BY
STANLEY J. CATERBONE,
PRO SE. (SEE 05-2288, PAPER
NO. 50).(ac, ) (Entered:
04/13/2007)
General Hours Billed For Legal
Work Done On Pro Se Civil
Appeal Case

Item Description

Qty

Unit Price Debit Amnt

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

3.00

125.00

Chapter 11 Amend Dismissal


3/22/07

3/22/07

MDA 125-2006

TR-0000085--2006

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Stan
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Jan 4 2007 Filed Notice of


Appeal to Superior Court Filed at
Lancaster County Clerk of
CoGeneral Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Jan 11 2007 Filed Motion For
Continuance Granted General
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Feb 12 2997 Filed Concise
Statement of Matters
Complainted on Appeal General
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Mar 27 2007 Meeting with
Lancaster County Clerk of Courts
Review & Correct Index of
RecorGeneral Hours Billed For
Legal Work Done On Pro Se
Criminal Appeal Case
Common of PA v S. Caterbone

Credit Amn

375.00
3,312.50

Hours Billed Criminal

3.00

125.00

375.00

Hours Billed Criminal

3.00

125.00

375.00

Hours Billed Criminal

12.00

125.00

1,500.00

Hours Billed Criminal

3.00

125.00

375.00

Jun 28 2006 Hearing Preparation Hours Billed For Crim


General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Jun 28 2007 Hearing at 1281 S
Court Time Hours Bill
28th St. Harrisburg Guilty MDJ
Smith Time For Court
Appearance and Litigation
Oct ?? 2006 Phone Call & Letter Hours Billed For Crim
For Payment of Fine & Costs
General Hours Billed For Legal
Work Done On Pro Se Criminal
Case
Jan 1 2007 Letter to MDJ Smith
Hours Billed Criminal
Re Payment of Fines General
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Jan 15 2007 Filed Application
Hours Billed Criminal
For Leave Nunc Pro TuncGeneral
Hours Billed For Legal Work
Done On Pro Se Criminal Appeal
Case
Feb 15 2007 Filed In Forma
Hours Billed Criminal
Pauperis In Dauphin County
Court of Common Pleas Granted
General Hours Billed For Legal
Work Done On Pro Se Criminal
Appeal Case
Mar 8 2007 Filed Notice of
Hours Billed Criminal
Appeal to Superior Court in
Dauphin County Court
MDA
Page
Page
147
29 ofof44
355
435-2007 General Hours Billed

2,625.00
4.00

125.00

500.00

5.00

150.00

750.00

3.00

125.00

375.00

2.00

125.00

250.00

4.00

125.00

500.00

3.00

125.00

375.00

4.00

125.00

500.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.14

Page: 15a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

435-2007 General Hours Billed


For Legal Work Done On Pro Se
Criminal Appeal Case
Common of PA v. S. Caterbone
3/22/07

3/28/07

3/28/07

MDA 435-2007

248 MAL 2007

06-cv-4734

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Credit Amn

3,250.00

Mar 25 2007 Filed Docketing


Statement to Superior Court of
Pennsylvania General Hours
Billed For Legal Work Done On
Pro Se Criminal Appeal Case
Common of PA v S. Caterbone

Hours Billed Criminal

Mar 27 2007 File Response to


Fulton Bank Motion to Dismiss
Case General Hours Billed For
Legal Work Done On Pro Se
Civil Appeal Case
Fulton Bank v Caterbone, Stan

Hours Billed For Civil

4.00

125.00

500.00

500.00

110/20/2006 - File Federal False Civil Litigation Hours


Claims Act, No Complaint Copy
Satute FMG, AMG, Global,
Radio Science Laboratories,
Power Productions v. ISC,
Attorney General,
11/16/2006 - MOTION for Leave Civil Litigation Hours
to Proceed in forma pauperis filed
by STANLEY J.
CATERBONE.(tj, ) (Entered:
10/23/2006)
11/16/2006 - ORDER THAT
Civil Litigation Hours
PLAINTIFF'S MOTION FOR
LEAVE TO PROCEED IN
FORMA PAUPERIS IS
GRANTED. IT IS FURTHER
ORDERED THAT THIS CASE
IS DISMISSED FOR FAILURE
TO S
COMPLAINT AGAINST
Civil Litigation Hours
ATTORNEY GENERAL,
INTERNATIONAL SIGNAL &
CONTROL, PLC FILED BY
STANLEY J. CATERBONE,
PRO SE, ADVANCED MEDIA
GROUP, LTD., ADVANCED
MEDIA GROUP,
02/07/2007 - MOTION FOR
Civil Litigation Hours
CONTINUANCE FILED BY
STANLEY J. CATERBONE,
PRO SE,CERTIFICATE OF
SERVICE.(ac, ) (Entered:
02/09/2007)
Mar 16 2007 Letter to U.S.
Civil Litigation Hours
Senator Arlen Specter Regarding
Obstruciton of Justice General
Hours Billed For Legal Work
Done On Pro Se Civil Case
Mar 12 2007 Meet Lisa Owings
Civil Litigation Hours
staffer on Judiciary Comitte from
Senator Specter at Chamber
Building General Hours Billed
For Legal Work Done On Pro Se
Civil Case
Mar 13 2007 Letter to Lisa
Civil Litigation Hours
Owings of Senator Specter Office
General Hours Billed For Legal
Work Done On Pro Se Civil Case
Mar 19 2007 Letter to Lisa
Civil Litigation Hours
Owings of Senator Specter Office
General Hours Billed For Legal
Work Done On Pro
Se Civil
Page
Page
148
30Case
ofof44
355

3.00

125.00

375.00

375.00
6.00

125.00

750.00

3.00

125.00

375.00

1.00

125.00

125.00

1.00

125.00

125.00

1.00

125.00

125.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

3.00

125.00

375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.25

Page: 16a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

6/1/07

Invoice

Customer ID

06-4650

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Item Description

Qty

Mar 20 2007 Letter to Lisa


Owings of Senator Specter Office
General Hours Billed For Legal
Work Done On Pro Se Civil Case
03/23/2007 - ORDER THAT
THE PLAINTIFF SHALL
SUBMIT A COPY OF HIS
MOTION FOR
CONTINUANCE BY 4/6/07.
SIGNED BY JUDGE MARY A.
MCLAUGHLIN ON 3/22/07.
3/23/07 ENTERE
Mar 24 2007 Letter to Senator
Specter General Hours Billed For
Legal Work Done On Pro Se
Civil Case
04/05/2007 - ORDER MOTION
FOR CONTINUANCE IS
DENIED AS MOOT. ON
NOVEMBER 16, 2006, THE
COURT DISMISSED THE
CASE FOR FAILURE TO
STATE A CLAIM
PURUSUANT TO 28
04/13/2007 - MOTION FOR
CONTINUANCE FILED BY
STANLEY J. CATERBONE,
PRO SE. (SEE 05-2288, PAPER
NO. 50).(ac, ) (Entered:
04/23/2007 - ORDER THAT
PLAINTIFF'S MOTION FOR
CONTINUANCE IS DENIED
AS MOOT. SIGNED BY
JUDGE MARY A.
MCLAUGHLIN ON
04/16/07.04/16/07 ENTERED
AND COPIES MAILED
04/26/2007 - ORDER THAT
PLAINTIFF'S REQUEST FOR
AN EX PARTE MEETING IS
DENIED. SIGNED BY JUDGE
MARY A. MCLAUGHLIN ON
04/25/07.
05/05/2007 - ADDENDUM TO
COMPLAINT BY STANLEY J.
CATERBONE., PRO SE.(ac,)
(Entered: 05/07/2007)
Federal False Claims Act

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

October 18, 2006 - MOTION for Civil Litigation Hours


Leave to Proceed in forma
pauperis filed by STANLEY J.
CATERBONE.AFFIDAVIT.(ks,)
(Entered: 10/19/2006)
October 18, 2006 - Filed Civil
Civil Litigation Hours
Action re Obstruction of Justice
and RICO
November 17, 2006 - ORDER
Civil Litigation Hours
THAT MOTION FOR LEAVE
TO PROCEED IN FORMA
PAUPERIS IS GRANTED. IT IS
FURTHER ORDERED THAT
PLAINTIFF SHALL AMEND
HIS COMPLAINT SO AS TO
November 17, 2006 - ORDER
Civil Litigation Hours
THAT PLAINTIFF'S MOTION
FOR CONTINUANCE IS
GRANTED. THE CLERK OF
COURT MARK THIS" ACTION
CLOSED FOR STATISTICAL
PURPOSES ANDPage
PLACE
THE
Page
149
31
ofof44
355

Unit Price Debit Amnt

Credit Amn

3,875.00
3.00

125.00

375.00

8.00

125.00

1,000.00

2.00

125.00

250.00

1.00

125.00

125.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.30

Page: 17a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

6/1/07

Invoice

Customer ID

06-3955

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Item Description

Qty

November 17, 2006 - Complaint


against DEFENDANTS
MAYNARD HAMILTON, JR,
DENISE COMMINS, RICHARD
H. SIMMS, STEVEN MYLIN,
WILLIAM G. REUTER,
MICHAEL SMITH, RONALD
January 19,2007 - ORDER
THAT THE
ABOVE-CAPTIONED CASE
SHALL REMAIN IN CIVIL
SUSPENSE UNTIL 4/19/07.
SIGNED BY JUDGE MARY A.
MCLAUGHLIN ON 1/19/07.
1/19/07 ENTER
April 3, 2007 - ADDENDUM
TO COMPLAINT filed by
STANLY J. CATERBONE. Cert,
of Service. (PRO SE) (pr, )
(Entered: 04/03/2007)
April 13, 2007 - STANLY J.
CATERBONE'S MOTION FOR
CONTINUANCE (#50 in
06-cv-4154).(fdc) (Entered:
04/13/2007)
April 16, 2007 - ORDER THAT
PLAINTIFF'S MOTION FOR
CONTINUANCE IS
GRANTED. THIS CASE
SHALL REMAIN IN CIVIL
SUSPSENSE UNTIL 6/19/07.
SIGNED BY JUDGE MARY A.
MCLA
April 26, 2007 - ORDER THAT
THE PLAINTIFF'S REQUEST
FOR AN EX PARTE MEETING
IS DENIED. SIGNED BY
JUDGE MARY A.
MCLAUGHLIN ON 4/25/07.
4/26/07 ENTERED AND
COPIES
May 7, 2007 - Addendum to
Complaint by STANLY J.
CATERBONE (#1 1 in
06-CV-4154). (fdc) (Entered:
05/07/2007)
June 18, 2007 - Motion For
Continuance
June 25, 2007 - Motion For
Continuance Granted, Provide
Status by August 31, 2007
Caterbone v. Wenger et al

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

4.00

125.00

500.00

Civil Litigation Hours

2.00

125.00

250.00

September 6, 2007 - CIVIL


Hours Billed For Civil
CASE DOCKETED Notice filed
by Stanley J. Caterbone.
RECORD, received, (clc
September 8, 2007 - LEGAL
Hours Billed For Civil
DIVISION LETTER SENT
advising appeal has been listed
for possible dismissal, (zm)
September 18, 2007 Hours Billed For Civil
APPEARANCE from Attorney
Christopher S. Underhill on
behalf of Appellee Manheim Twp
Pol, filed, (clc)
September 18, 2007 Hours Billed For Civil
APPEARANCE from Attorney
Stephanie Carfley on behalf of
Appellee Fulton Bank, filed, (clc)
September 18, 2007
Hours Billed For Civil
Page
Page
150
32 ofof44
355
DISCLOSURE STATEMENT on

Unit Price Debit Amnt

Credit Amn

4,750.00
3.00

125.00

375.00

2.00

125.00

250.00

1.00

125.00

125.00

1.00

125.00

125.00

1.00

125.00 November
125.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:51.36

Page: 18a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
DISCLOSURE STATEMENT on
behalf of Appellee Fulton Bank,
filed, (clc)
September 19, 2006 - FOLLOW
UP LETTER to Robert W.
Hallinger, Walter H. Swayze,
Patricia Baxter, George M.
Gowen and Stuart A. Weiss
requesting the following do
September 25, 2006 APPEARANCE from Attorney
William H. Howard on behalf of
Appellee Avalon Pol Dept, filed.
(Iwc)
September 25, 2006 APPEARANCE from Attorney
William H. Howard on behalf of
Appellee Avalon Pol Dept, filed.
(Iwc)
September 29, 2006 DISCLOSURE STATEMENT on
behalf of Appellee Comm Natl
Bank, filed, (clc)
October 2, 2006 APPEARANCE from Attorney
Robert W. Hallinger on behalf of
Appellee Lancaster Cty Prison,
filed, (clc)
October 11, 2006 - RESPONSE
to Legal Division letter for
possible dismissal, on behalf of
Appellee Manheim Twp Pol,
filed. Certificate of Service dated
10/6/06
December 1, 2006 - Notice
received from district court that
IFF has been granted to Stanley J.
Caterbone . (clc)
April 30, 2007 - Document filed
by Appellant titled "Addendum to
Appeal, filed, (clc)
Appeal Order Amend 2288
Compl

6/1/07

6/1/07

06-5117

7003

CI-07-03924

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September 1, 2007 - Notice of


Appeal to U.S. District Court
Anita Brody
September 10, 2007 - Judge
Fehling Memorandum and
Opinion Filed
November 27, 2007 - PP&L
Motion To Dismiss to Judge
Anita Brody
May 31, 2007 - Judge Anita
Brody Reply Letter to M Henry
PP&L Attorney
May 31, 2007 - Appellant
Response to Appellee Motion to
Dismiss
June 18, 2007 - Judge Anita
Brody ORDER Denial, Move to
Dissmiss Appeal File Appeal to
Third Circuit within 60 days
Chapter 11 PP&L Dismissal
Appe

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

3.00

125.00

375.00
2,375.00

Chapter 11 Appeal Ho

5.00

125.00

625.00

Chapter 11 Appeal Ho

2.00

125.00

250.00

Chapter 11 Appeal Ho

2.00

125.00

250.00

Chapter 11 Appeal Ho

2.00

125.00

250.00

Chapter 11 Appeal Ho

6.00

125.00

750.00

Chapter 11 Appeal Ho

2.00

125.00

250.00

May 1, 2007 - File Complaint and Civil Litigation Hours


In Forma Pauperis Application
May 4, 2007 - IFP Denied, Error Civil Litigation Hours
in Caption
May 7, 2007- Refile
In Forma
Civil Litigation Hours
Page
Page
151
33 ofof44
355
Pauperis Application

2,375.00
8.00

125.00

1,000.00

1.00

125.00

125.00

2.00

125.00 November
250.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:51.47

Page: 19a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
Pauperis Application
May 9, 2007 - In Forma Pauperis
Granted
May 24, 2007 - Entry of
Appearence Samuel Cortes of
Rothschild, LLP for Sam
Lombardo
May 29, 2007 - Entry of
Appearence and Answer from
Kirsten Worley for Office Max
May 31, 2007 - Preliminary
Objections filed by Samuel
Cortes for Lombardo
June 25, 2007 - File Motion For
Continuance
June 29, 2007 - ORDER by
Judge Cullen Denial of Motion
for Continuance Requested to
Resubmit with Reason
July 19, 2007 - Request for
Interogatories and Request to
Produce Documents Filed by
Kirsten Worley for Office Max
July 24, 2007 - File Answer to
Office Max Interrogatories

Item Description

Qty

Unit Price Debit Amnt

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

1.00

125.00

Caterbone v. Lombardo/Office M
6/17/07

6/17/07

05-2288

05-23059

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Sept 6, 2006 Notice of Appeal


Third Circuit Court of Appeals
Case No. 06-3955 Legal Work
Done On Pro Se Civil Appeal
Case
Sept 8, 2006 Letter from Third
Circuit Legal Division re
Jurisdictional Dismissal
Sept 18 2006 Research and
Analysis Notice of Appearences
Fultong Bank, Manheim Twp
Police; Fulton Bank Disclosure
Statement
Sept 25 2006 Notice of
Appearence Avalon Police Dept
Sept 25 2006 Notice of
Appearance Mellon Bank;
Disclosure Statement
Sept 28 2006 Reponse to Legal
Division by Fulton Bank in
support of dismissal
Oct 2 2006 Notice of Appearance
Lancaster County Prison
Oct 11 2006 Reponse to Legal
Division by Manheim Twp Police
Chris Underhill in support of
dismissal
Dec 1 2006 In Forrma Pauperis
Application Granted
Apr 30 2007 Addendum to
Appeal filed; Letter to
McLaughlin, DARPA, Parula
Property Stolen
Caterbone v. Lanc Co Prison et

Credit Amn

125.00
3,250.00

Hours Billed For Civil

10.00

125.00

1,250.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

5.00

125.00

625.00

Apr 30 2007 Notice of Appeal to Chapter 11 Appeal Ho


Thrid Circuit from Chapter 11 re
Amend Filing Date Case No.
07-2150
May 10 2007 Application to
Chapter 11 Appeal Ho
procedd In Forma Pauperis Filed
May 21 2007 Motion For Recusal Chapter 11 Appeal Ho
of Judge Rendell Filed
Page
Page 152
34 ofof44
355

4,500.00
5.00

125.00

625.00

2.00

125.00

250.00

125.00

250.00

2.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.58

Page: 20a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

6/17/07

Invoice

Customer ID

05-23059

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Line Description

Item Description

Qty

Unit Price Debit Amnt

Credit Amn

May 29 2007 Order Granted for


In Forma Pauperis; Proceed to 3
Judge Panel for Review to
Continue
June 8 2007 Motion to Dismiss
by Department of Justice
(Appellee) by J. Adams
AMG Chapter 11 Bankruptcy

Chapter 11 Appeal Ho

2.00

125.00

250.00

Chapter 11 Appeal Ho

3.00

125.00

375.00
1,750.00

June 2 2005 Order Granting


Chapter 11 Hours Bill
Application To Pay Filing Fees In
Installments. (Related Doc # 4);
June 13 2005 Order Dismissing
Chapter 11 Hours Bill
Case for Debtor's Failure to
Timely File Required Documents.
(P., Cathy) (Entered: 06/13/2005)

2.00

125.00

250.00

5.00

125.00

625.00

June 21 2005 Summary of


Schedules, Schedules A-J,
Statement of Financial Affairs
Filed by Stanley J. Caterbone .
(Attachments: # J. Statement of
Financial Affai
06/21/2005 Summary of
Schedules, Schedules A-J,
Statement of Financial Affairs
Filed by Stanley J. Caterbone .
(Attachments: # J. Statement of
Financial Aff
07/01/2005 Appellant
Designation of Contents For
Inclusion in Record On Appeal,
and Findings of Fact Filed by
Stanley J. Caterbone .
(Attachments: # I Findi
09/21/2005 District Court Order
entered within Civil Action #
05-CV-3689 Notice of Appeal
Filed by Stanley J. Caterbone
Regarding 6/13/2005 Order
Dismissing
10/05/2005 Final Order By
District Court Judge Anita B.
Brody - RE: Notice of Appeal
(CA-05-3689) Regarding
6/13/2005 Order Dismissing Ca
11/08/2005 Notice of Hearing to
Show Cause why this case should
not be not be Dismissed for
Debtor's Failure to Timely Pay
Filing Fees for Chapter 1

Chapter 11 Hours Bill

3.00

125.00

375.00

Chapter 11 Hours Bill

3.00

125.00

375.00

Chapter 11 Hours Bill

7.00

125.00

875.00

Chapter 11 Hours Bill

2.00

125.00

250.00

Chapter 11 Hours Bill

3.00

125.00

375.00

Chapter 11 Hours Bill

2.00

125.00

250.00

11/16/2005 Meeting of Creditors Chapter 11 Hours Bill


. 341 (a) meeting to be held on
12/15/2005 at 12:30 PM at
3cnfrm - 3rd Floor Conference
Room. Last day to oppose dis
11/29/2005 Drive to Reading to
Chapter 11 Hours Bill
Final Installment Payment.
Receipt Number 20073978, Fee
Amount $839.00. (P., Cathy)
(Entered: 11/29/2005) Drive to
Reading Co
General Hours Billed For Legal
Chapter 11 Hours Bill
Work Done On Pro Se Chapter
11 Case
12/15/2005 Response dated
Chapter 11 Hours Bill
12/14/2005 Filed by Stanley J.
Caterbone Regarding HEMAP
Appeal Hearing Request. (P.,
Cathy) (Entered: 12/16/2005)
Page
Page 153
35 ofof44
355

2.00

125.00

250.00

5.00

125.00

625.00

3.00

125.00

375.00

3.00

125.00

375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.63

Page: 21a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

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Item Description

Time For Court Appearance and Court Time Hours Bill


Litigation
Jan 9 2006 File Order Entered
Chapter 11 Hours Bill
that if a certificate of service of
the amended schedules or
amended matrix is not filed
within 20 days from the date of
this orde
01/23/2006 Certificate of Service Chapter 11 Hours Bill
Filed by Stanley J. Caterbone RE: Amended Schedules and
Response to Creditor Status
Order (related document(s)27).
(P.,
01/24/2006 Motion for Relief
Chapter 11 Hours Bill
from Stay. Fee Amount $150,
Filed by Fulton Bank
Represented by SHAWN M.
LONG (Counsel). Objections due
by 2/8/2006. (A
01/30/2006 Amended Schedule F Chapter 11 Hours Bill
(creditor added) Filed by Stanley
J. Caterbone ; Receipt Number
20074148, Fee Amount $26.00
(P., Cathy) (Entered: 01/31/2006)
01/30/2006 Advanced Media
Chapter 11 Hours Bill
Group Income Statements for the
year 2005 Filed by Stanley J.
Caterbone . (Attachments: # !_
Continuation of Reports) (P.,
Cathy)
02/02/2006 Certificate of Service Chapter 11 Hours Bill
Filed by Stanley J. Caterbone RE: Amended Schedules (related
document(s)35). (P., Cathy)
(Entered: 02/02/2006)
02/02/2006 Debtor's Response to Chapter 11 Hours Bill
Motion of Fulton Bank for Relief
From Stay ; Response and
Exhibits thereto Filed by Stanley
J. Caterbone (related do
02/10/2006 Monthly Operating
Chapter 11 Hours Bill
Report for Filing for the month of
January 2006 Filed by Stanley J.
Caterbone . (P., Cathy) (Entered:
02/10/2006)
02/21/2006 Hearing Held on 31
Court Time Hours Bill
Motion for Relief from Stay Filed
by Fulton Bank Represented by
SHAWN M. LONG (Counsel).
Matter Taken Under Advisement.
(S., B
02/23/2006 Order Granting
Chapter 11 Hours Bill
Motion for Relief from Stay
Regarding Property 220 Stone
Hill Road, Conestoga, PA Filed
by Fulton Bank Represented by
SHAWN M. LON
03/20/2006 Debtor Request for Chapter 11 Hours Bill
Hearing, and Certificate of
Service thereto Filed by Stanley
J. Caterbone . (P., Cathy)
(Entered: 03/20/2006)
General Hours Billed For Legal
Chapter 11 Hours Bill
Work Done On Pro Se Chapter
11 Case
03/31/2006 Order DENYING
Chapter 11 Hours Bill
Debtor's (Second) Request for
Hearing because nothing is
pending before this Court on
which a hearing might
be 154
held,of
Page
Page
36
of44
355
(related d

Qty

Unit Price Debit Amnt

Credit Amn

6.00

150.00

900.00

3.00

125.00

375.00

3.00

125.00

375.00

3.00

125.00

375.00

3.00

125.00

375.00

25.00

125.00

3,125.00

4.00

125.00

500.00

12.00

125.00

1,500.00

4.00

125.00

500.00

6.00

150.00

900.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

1.00

125.00

125.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.74

Page: 22a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Chapter 11 Hours Bill

2.00

125.00

250.00

04/10/2006 Order DENYING


Chapter 11 Hours Bill
Debtor's Motion to Stay All
Proceedings (Request for
Continuance) because nothing is
presently pending before this
Court that would
05/03/2006 Order (copy)
Chapter 11 Hours Bill
entered in District Court within
Appeal CV-06-1538 ; Ordered
that the Appellant's motion for
continuance is Denied as Moot
(con
05/30/2006 05/30/2006
Chapter 11 Hours Bill
05/30/2006 Motion to Convert
Case to Chapter 7 . Fee Amount
$15.00, Motion to Dismiss Case
Filed by United States Trustee
Represente
06/08/2006 Certificate of Service Chapter 11 Hours Bill
Filed by Stanley J. Caterbone
Regarding Documents sent to US
Trustee's Office. (P., Cathy)
(Entered: 06/08/2006)
06/29/2006 Hearing Held - RE:
Court Time Hours Bill
Motion to Dismiss Case, or
Conversion of Case to Chapter 7
Filed by United States Trustee
(related document(s),60).
**MATTER T
07/10/2006 Debtor's Request
Chapter 11 Hours Bill
for Hearing Transcripts, Praecipe
to Proceed in Forma Pauperis
Filed by Stanley J. Caterbone .
(P., Cathy) (Entered: 07
07/17/2006 Final Order By
Chapter 11 Hours Bill
District Court Judge Anita B.
Brody Regarding Debtor's Notice
of Appeal (Civil Action
#06-1538) of Bankruptcy Order
dated 2/23/200
07/18/2006 Debtor's Request
Chapter 11 Hours Bill
(dated 7/14/2006) for Hearing
Transcripts, Praecipe to Proceed
in Forma Pauperis Filed by
Stanley J. Caterbone . (P., Cathy)
(En
07/20/2006 Memorandum In
Chapter 11 Hours Bill
Support of Motion to Dismiss
Filed by United States Trustee
Dept of Justice Dave P. Adams
08/03/2006 Hearing Set re
Chapter 11 Hours Bill
Debtor's Request for Hearing
Transcripts, Praecipe to Proceed
in Forma Pauperis Filed by
Stanley J. Caterbone (related
document 67
08/16/2006 Motion Debtor
Chapter 11 Hours Bill
Request Continuance Filed by
Stanley J. Caterbone Represented
by Self(Counsel). (P., Cathy)
(Entered: 08/16/2006)
08/17/2006 Hearing Scheduled to Chapter 11 Hours Bill
provide court with difinitive
report status of Chapter 11 and to
address questionsPage
about the
Page
155
37future
ofof44
355
Heaing Notice Never Recieved

2.00

125.00

250.00

1.00

125.00

125.00

3.00

125.00

375.00

2.00

125.00

250.00

6.00

150.00

900.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

3.00

125.00

375.00

1.00

125.00

125.00

3.00

125.00

375.00

1.00

125.00

125.00

(related d
04/10/2006 Request for
Continuance of Chapter 11 Case
Filed'by Stanley J. Caterbone .
(P., Cathy) (Entered: 04/10/2006)

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Unit Price Debit Amnt

Credit Amn

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.85

Page: 23a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Line Description

Item Description

Heaing Notice Never Recieved


General Hours Billed For Legal
Chapter 11 Hours Bill
Work Done On Pro Se Chapter
11 Case
08/25/2006 DOCKETED IN
Chapter 11 Hours Bill
ERROR: entered on main case,
should be on adversary- See
Adversary 06-2236***Attach
PDF Document: Copy of Notice
of Appeal
08/31/Order Entered that the
Chapter 11 Hours Bill
Bench Order Entered on today's
Record DENYING 67 Debtor's
Request (dated 7/6/2006) for
Hearing Transcripts, Praecipe to
Proceed IFP
09/27/2006 Notice of Briefing
Chapter 11 Hours Bill
Schedule issued by US District
Court - RE: Notice of Appeal
Civil Action 06-4212 (related
document(s)83). (P., Cathy)
10/03/2006 Order Granting
Chapter 11 Hours Bill
United States Trustee's Motion to
Dismiss Case, (related
document(s)60). (P., Cathy)
(Entered: 10/03/2006)
10/19/2006 Notice of Appeal to
Chapter 11 Hours Bill
District Court - RE: Order
entered 10/3/2006 Granting
United States Trustee's Motion to
Dismiss Case ; Notice of Appeal,
and
01/18/2007 Motion for Debtor's Chapter 11 Hours Bill
Request (dated 1/13/2007) for
Hearing Transcripts, Praecipe to
Proceed in Forma Pauperis Filed
by Stanley J. Caterbon
01/19/2007 Order DENYING
Chapter 11 Hours Bill
Motion for Debtor's (Second)
Request for Hearing Transcripts,
Praecipe to Proceed in Forma
Pauperis Filed by Stanley J.
Caterbone.
01/19/2007 Order DENYING
Chapter 11 Hours Bill
Motion for Debtor's (Second)
Request for Hearing Transcripts,
Praecipe to Proceed in Forma
Pauperis Filed by Stanley J.
Caterbone.
02/05/2007 Updated Creditor
Chapter 11 Hours Bill
Matrix/Amendment to List of
Creditors (5 new names) Filed by
Stanley J. Caterbone (Neither
Amended Schedules nor Certific
02/05/2007 Application to
Chapter 11 Hours Bill
Waive Fee Filed by Stanley J.
Caterbone Represented by
Self(Counsel). (P., Cathy)
(Entered: 02/05/2007)
02/05/2007 Motion to
Chapter 11 Hours Bill
Reconsider Order DENYING
Motion for Debtor's (Second)
Request for Hearing Transcripts,
Praecipe to Proceed in Forma
Pauperis ; M
02/07/2007 Order DENYING
Chapter 11 Hours Bill
Debtor's Motion to Reconsider
Order dated 1/19/2007 and
DENYING Debtor's Application
to Waive Fee. (related
document(s)105, 1Page
Page 156
38 ofof44
355

Qty

Unit Price Debit Amnt

Credit Amn

1.00

125.00

125.00

1.00

125.00

125.00

2.00

125.00

250.00

1.00

125.00

125.00

2.00

125.00

250.00

3.00

125.00

375.00

2.00

125.00

250.00

1.00

125.00

125.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

3.00

125.00

375.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:51.96

Page: 24a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

02/09/2007 Letter Received from


Debtor Stanley J. Caterbone in
response to memorandum
regarding Local Rule 9014-3. (P.,
Cathy) (Entered: 02/13/2007)
02/20/2007 Notice of Appeal to
District Court of Order entered
2/7/2007 DENYING Debtor's
Motion to Reconsider Order
DENYING Debtor's Application
to Wa
02/26/2007 Corrective Entry RE: Notice of Appeal of Order
DENYING Debtor's Motion to
Reconsider Order and Debtor's
Application to Waive Fee Filed
by Stanl
03/06/2007 Order Supplementing
Order of February 7, 2007,
pursuant to Local Bankruptcy
Rule 8001-1 (c)(related
document(s)K)6). (B., Keith)
(Entere
03/20/2007 District Court
Acknowledgement of receiving
Bankruptcy Appeal
(CA-07-1093) Signed by Deputy
Clerk Steve Tomas - RE: Notice
of Appeal to District
05/18/2007 Notice of Change of
Address Filed by Stanley J.
Caterbone . (P.,Cathy) (Entered:
05/18/2007) 05/18/2007
Operating Report/Balance
05/18/2007 Operating
port/Balance Sheet 5/31/2007,
Income Statement for 5 months
ending 5/31/2007, Aged
Receivables as of 5/31/2007 Filed
by Stanley

Chapter 11 Hours Bill

2.00

125.00

250.00

Chapter 11 Hours Bill

2.00

125.00

250.00

Chapter 11 Hours Bill

1.00

125.00

125.00

Chapter 11 Hours Bill

1.00

125.00

125.00

Chapter 11 Hours Bill

1.00

125.00

125.00

Chapter 11 Hours Bill

1.00

125.00

125.00

Chapter 11 Hours Bill

8.00

125.00

1,000.00

Chapter 11 Hours Bill

1.00

125.00

AMG Chapter 11 Bankruptcy


6/30/07

07-2151

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

April 30, 2007 - Bankruptcy Case Chapter 11 Appeal Ho


Docketed. Notice filed by
Stanley J. Caterbone. (clc)
May 10, 2007 - MOTION by
Chapter 11 Appeal Ho
Appellant to proceed in forma
pauperis, filed, (clc)
May 10, 2007 - APPEARANCE
Chapter 11 Appeal Ho
from Attorney Dave Adams on
behalf of Appellee Kelly B.
Stapleton, filed, (clc)
May 21, 2007 - MOTION by
Chapter 11 Appeal Ho
Appellant for Request for
Recusal of Judge Rendell, filed.
Answer due 6/4/07. Certificate of
Service dated 5/18/07. (clc)
May 29, 2007 - ORDER (Clerk)
Chapter 11 Appeal Ho
granting motion to proceed in
forma pauperis by Appellant.
The appeal will be submitted to a
panel for determination under 28
U.S.
June 8, 2007 - MOTION by
Chapter 11 Appeal Ho
Appellee to dismiss appeal, filed.
Answer due 6/25/07. Certificate
of Service dated 6/8/07. (clc)
June 19, 2007 - Answer to
Chapter 11 Appeal Ho
Motion to Dismiss by Appellant
Stanley J. Caterbone
Page
Page 157
39 ofof44
355

Credit Amn

125.00
23,825.00

3.00

125.00

375.00

2.00

125.00

250.00

1.00

125.00

125.00

3.00

125.00

375.00

1.00

125.00

125.00

2.00

125.00

250.00

8.00

125.00

1,000.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:52.02

Page: 25a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

Caterbone v. U.S. Trustee


6/30/07

8/7/07

8/7/07

06-1538

1130 CD 2007

CI-07-00366

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Credit Amn

2,500.00

June 9, 2006 - Notice of Appeal


to U.S. District Court Judge
Brody Appeal Fulton Bank Auto
-Stay
July 17, 2006 - Response to
Fulton Bank Answer to Appeal
August 5, 2006 - Judge Anity
Brody ORDER Appeal Denied
Fulton Auto Stay Appeal

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

8.00

125.00

1,000.00

Hours Billed For Civil

2.00

125.00

250.00

April 5, 2007 - Appeal Hearing


via Telephone at the Lancaster
County Assistance Office. CASE
NO. #360234927-002
April 10, 2007 - Prepare
supporting documents for appeal.
April 9, 2007 - ORDER, Denying
Appeal
April 26, 2007 - Final
Administrative Action Order,
DENYING BENEFITS
May 9, 2007 - Appeal Hearing
and Adjudication via Telephone
held at the Lancaster County
Assistance Office.
June 11, 2007 - Appeals Final
Decision/FAA
July 2, 2007 - ORDER Denying
Reconsideration
July 14, 2007 - Appeal to
Commonwealth Court
Rosen Appeals for Food Stamp
Benefits
Cooksey Appeals for Food
Stamps
Caterbone v. DPW Food Stamps

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

30.00

125.00

3,750.00

Hours Billed For Civil

30.00

125.00

3,750.00

1,875.00

January 16, 2007 - File Civil


Civil Litigation Hours
Action and In Forma Application
Caterbone v. Totaro, et al
January 23, 2007 - File Exhibits
Civil Litigation Hours
to Complaint
January 23, 2007 - Appearence
Civil Litigation Hours
by Stephanie Carfly of Barley
Snyder, LLP, for Fulton Bank
January 24, 2007 - ORDER In
Civil Litigation Hours
Forma Pauperis DENIED for
Frivilous by Judge Allison
January 25, 2007 - Notice of Rule Civil Litigation Hours
236 Notice sent by Prothonetary
January 29, 2007 - Appeal for
Civil Litigation Hours
Reconsideration to ORDER of
January 24, 2007 by Judge
Allison
February 8, 2007 - Preliminary
Civil Litigation Hours
Objections filed by Stepanie
Carfly of Barley Snyder, LLP for
Fulton Bank
February 20, 2007 - Brief filed by Civil Litigation Hours
Stepanie Carfly of Barley Snyder,
LLP for Fulton Bank in support
of Preliminary Objections
February 21, 2007 - Judge
Civil Litigation Hours
Allison ORDER DENIED
Appeal for Reconsideration
February 26, 2007 - Rule 236
Civil Litigation Hours
Notice from Prothonatary of
ORDER dated January 24, 2007
which was DENIED.
Page
Page 158
40 ofof44
355

11,250.00
5.00

125.00

625.00

2.00

125.00

250.00

1.00

125.00

125.00

2.00

125.00

250.00

1.00

125.00

125.00

4.00

125.00

500.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

2.00

125.00

250.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:52.13

Page: 26a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Unit Price Debit Amnt

February 28, 2007 - File


ANSWER to Fulton Bank's
Preliminary Objections
March 9, 2007- Filing Fees
Remained Unpaid for 10 Days
after Rule 236 - Judgement of
Non Pros Filed by Prothonatary
March 12, 2007- Christine
Munion, Esq., files Entry of
Appearance for Donald Totaro,
Lancaster County
Commissioners, Lancaster
County Sheriff, Lancaster County
March 13, 2007 - Praecipe filed
to DEFENDANT FULTON
BANK'S PRELIMINARY
OBJECTIONS TO PLAINTIFF'S
COMPLAINT TO THE COURT
FOR DISPOSITION WITH
CERTIFICATE OF SER
March 16, 2007 - Filed
Addendum to Defendants List
April 24, 2007 - Addendum to
Complaint filed
May 11, 2007 - Judgement-Non
Pros filed by Chrisine Munion for
Totaro as directed by Wenger,
Prothonotary
May 24, 2007 - Notice of Appeal
to Superior Court of the
Judgement of Non Pros
June 6, 2007 - Notice of Concise
Statement of Matters Complained
by June 21, 2007 by Judge
Allison
June 21, 2007 - Statement of
Matters Complained filed
July 2, 2007 - Response by
Fulton Bank on Statement of
Matters Complained
July 16, 2007 - OPINION filed
by Judge Paul K. Allison to
Superior Court
July 17, 2007 - Record Sent to
Superior Court by Lancaster
County Prothonatary 950 MDA
951 MDA
July 18, 2007 - ORDER from
Superior Court DISMISS 950 &
951
July 24, 2007 - Record Returned
from the Superior Court 950 &
951 Memorandum Filed

Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

1.00

125.00

125.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

5.00

125.00

625.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

2.00

125.00

250.00

Hours Billed For Civil

1.00

125.00

125.00

Hours Billed For Civil

3.00

125.00

375.00

Hours Billed For Civil

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

Obstruction of Justice - EI
8/9/07

CI-07-00150

Advanced
Stan
J. Caterbone
Media Group
Chapter
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January 8, 2007 - (Emergency)


Civil Litigation Hours
for emergency food stamp
benefits and other benefits filed
by stanley j. Caterbone, plaintiff,
pro se. And affidavit of financial
January 9, 2007 - Filed: and now, Civil Litigation Hours
jan 8, 2007, upon consideration
of defendant's request to proceed
in forma pauperis,it is ordered
that such request is granted
January 16, 2007 - Praecipe for
Civil Litigation Hours
Appearance by Diana Clark, for
the Pennsylvania Department of
Welfare
January 29, 2007 Page
-Page
Preliminary
Civil Litigation Hours
159
41 ofof44
355
Objections Filed by Diana Clark

Credit Amn

250.00
7,375.00

5.00

125.00

625.00

1.00

125.00

125.00

1.00

125.00

125.00

2.00

125.00 November
250.00
Saturday,
Tuesday,
January 26,
7, 2016
2015

2/12/08 at 09:15:52.24

Page: 27a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
Objections Filed by Diana Clark
of DPW
January 30, 2007 - Brief in
Support of Preliminary
Objections filed by Diana Clark
and DPW
February 15, 2007 - File Answer
to Preliminary Objections
May 29, 2007 - Notice of
Appearance Before Business
Judge for Food Stamps to
Reinaker, Recusal
May 30, 2007 - Notice of
Appearance before Business
Judge, Judge Farina, refused to
hear case
Emergency Food Stamps

8/9/07

CI-07-00019

January 2, 2007 - To proceed


informa pauperis with affidavit of
financial service filed by
Caterbone, pro se. In support of
petition to set aside sale
January 2, 2007 - Caption
Caterbone v. Fulton Bank,
Lancaster County Sheriff
Department
January 4, 2007 - In Forma
Pauperis GRANTED by Judge
Dennis E. Reinaker
January 5, 2007 - Addition to
Compliant (Please Add To
Complaint)
January 31, 2007 - Response Of
fulton bank to stanley j.
Caterbone's petition to set aside
sale of real estate. Filed by:
shawn m. Long, esq. Certificate
of ser
January 31, 2007 - Notice of
Meeting Before Business Judge
Michael Georgelis filed by
Shawn Long
February 1, 2007 - Meeting
before Judge Georgelis and
ORDER TO DISMISS
PETITION DENIED
February 6, 2007 - Reply to
Response of Fulton Bank
February 6, 2007 - Notice of
DENIAL to all parties
February 20, 2007 - From james
d. Mccullough, deputy
prothonotary, superior court of
pennsylvania. Returned herein is
the notice of appeal received in
the proth

Item Description

Qty

Unit Price Debit Amnt

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

2.00

125.00

250.00

2,500.00
Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

3.00

125.00

375.00

Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

1.00

125.00

125.00

Hours Billed For Civil

4.00

125.00

500.00

Civil Litigation Hours

2.00

125.00

Petition To Set Aside Sale


8/9/07

CI-06-02271

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Credit Amn

March 8, 2006 - In mortgage


Civil Litigation Hours
foreclosure filed by shawn m
long esq(ma). The mortgage was
recordedin the office of the
recorder of deeds of and for
lancaster coun
April 11, 2006 - Complaint. Filed Civil Litigation Hours
by shawn m. Long, esq.
Reinstated as 1.directed by
randall o. Wenger, prothonotary.
(2 copies to atty, 1Page
copy of160
Page
42 ofof44
355
complaint wit

250.00
3,875.00

2.00

125.00

250.00

1.00

125.00

125.00

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:52.35

Page: 28a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description

Item Description

Qty

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

5.00

125.00

625.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

4.00

125.00

500.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

1.00

125.00

125.00

August 8, 2006 - Served Def.


Civil Litigation Hours
Stanley j. Caterbone, personally,
with a notice of sale and/or
handbill at lancaster county
courthouse, 50 north duke st
August 11, 2006 - In Forma
Civil Litigation Hours
Pauperis With praecipe to
proceed in forma pauperis
presented to courtPage
and court
Page
161
43 ofof44
355
enters order granting in forma

1.00

125.00

125.00

2.00

125.00

250.00

complaint wit
May 1, 2006 - Complaint Served,
Civil action complaint upon
stanley caterbone by personal
service at lancaster county
sheriff's office,50 north duke
street, lan
May 8, 2006 - Answer to
Complaint filed
June 6, 2006 - Brief In support
of plaintiff's motion for judgment
on the pleadings. Filed by shawn
m. Long, esq. Certificate of
service of same.
June 6, 2006 - Motion by Fulton
for judgement on the pleadings
filed by Shawn M. Long
June 28, 2006 - Praecipe filed to
assign Plaintiff fulton bank's
motion for summary judgment to
the court for disposition as
unopossed with certific
June 29, 2006 - ORDER Filed:
and now, this 29th day of june,
2006, upon consideration of
plaintiff's motion for judgment on
the pleadings, as well as
defendants
July 20, 2006 - Enter judgment
on behalf of plaintiff and against
defendant, stanley j. Caterbone in
the amount of $97,425.07, plus
continuing interest after ma
July 25, 2006 - Filed Notice of
Appeal to Superior Court Case
No.
July 28, 2006 - A hearing on the
defendant's application for in
forma pauperis status will be held
in curtroom 5 at 9:00 a.m. on
wednesday, august 9, 2006. By t
July 31, 2006 - Filed. Writ issued.
Affidavit of non-military service.
Principal: $88,568.53; interest to
03/02/2006 at a rate of $14.56 per
diem: $4,442.96; ne
July 31, 2006 - Affidavit - rule
3129 7/31/2006 Concerning the
real property located at 220 stone
hill road a/k/a lot #5 stone hill
road, township of conestog
July 31, 2006 - Notice of
7/31/2006 Sheriff's sale of real
property to stanley j. Caterbone at
220 stone hill road, conestoga, pa
17516. Filed by shawn m. Long
August 1, 2006 - 220 stone hill
road, a/k/a lot #5 stone hill rd.,
conestoga, conestoga township
56 December 20, 2006. Received
check from barley snyder i

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Unit Price Debit Amnt

Credit Amn

Saturday,
Tuesday,November
January 26,
7, 2016
2015

2/12/08 at 09:15:52.40

Page: 29a

Stanley J. Caterbone, Pro Se Litigant

Sales Journal
For the Period From Jan 1, 2007 to Dec 31, 2008
Filter Criteria includes: Report order is by Invoice Date. Report is printed in Detail Format.
Date

Invoice

Customer ID

Line Description
enters order granting in forma
pauperis status. Mich
August 11, 2006 - Filed. The
defendant has appealed my june
29, 2006 order granting the
plaintiff's motion for judgment on
the pleadings. He is directed to
file
August 17, 2006 - Of notice of
sheriff's sale by mail to
lienholders on aug. 11, 2006.
Filed by shawn m. Long, esq. Of
the notice of sheriff sale upon
defenda
August 31, 2006 - Served Writ of
Execution
September 5, 2006-OPINION
Pursuant to pa.r.a.p. 1025(a)
filed. By the court: michael a.
Georgelis, judge. Copies w/236
notice sent to: stanley j.
Caterbone, pro
September 6, 2006-The superior
court of pennsylvania - no. 1463
mda 2006. Copy of the list of
record documents sent to: stanley
j. Caterbone, pro se and shawn m
January 8, 2006-Certified copy of
Order from the superior court of
pennsylvania - no. 1463 mda
2006 filed. And now, this fourth
day of january, 2007
Fulton v. Caterbone Foreclosur

Item Description

Qty

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

2.00

125.00

250.00

Civil Litigation Hours

1.00

125.00

125.00

Civil Litigation Hours

4.00

125.00

500.00

Total

Advanced
Stan
J. Caterbone
Media Group
Chapter
Pro11
Se Billings

Unit Price Debit Amnt

5,375.00
284,327.50

Page
Page 162
44 ofof44
355

Credit Amn

284,327.50

Saturday,
Tuesday,November
January 26,
7, 2016
2015

Case: 15-3400

Document: 003112140828

Page: 1

Date Filed: 11/27/2015

www.amgglobalentertainmentgroup.com
[email protected]
717-669-2163
Stanley J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
IN THE UNITED STATES THIRD CIRCUIT COURT OF APPEALS
_______________________________________________________________________________
Lisa Michelle Lambert
:
PETITIONER
:
:
v.
:
CASE NO. 3400-2015
:
:
Lynn Bissonnette, et al.,
:
RESPONDANT
:
:
Stanley J. Caterbone
APPELLANT

:
:
:

SUBMISSION AS EXHIBIT BY APPELANT


Chapter 11 Reorganization Plan for Case No. 05-23059 Filed January 12, 2010,
November 27, 2015

I hereby on this 27h

day of November, 2015, submit for considerations in the above

captioned case the attached document as an EXHIBIT to be considered by the court in the
deliberations of this case. This exhibit, like the previous EXHIBITS, is intended to help the Court
understand the complexity of the APPELLANT'S obligation to provide the Court with the evidence
and insight to support the APPELLANT'S claims and statements. These documents will also provide
the

Court

with

sufficient

knowledge

of

the

APPELLANT'S

claim

of

the

value

of

the

Appellant's litigation of up to $50 million dollars as stated in the U.S. Bankruptcy Case No. 0523059. The following EXHIBIT titled Chapter 11 Reorganization Plan for Case No. 05-23059 Filed
January 12, 2010, November 27, 2015 was not completed when it was filed in the U.S. Bankruptcy
Court for the Eastern District of Pennsylvania.

After careful review the APPELLANT has since recovered documentation and evidence that
can substantiate that the $50,000,000 valuation on the APPELLANT'S litigation is a low estimate.
For example, in the Original and Authentic Documentation of 1987 the Court will see a document
called the HARSCO Pension Plan Proposal of $144,000,000.
corporation.

HARSCO was a Harrisburg based

In 1987 Michael Dipaolo was an auditor for KPMG Maine Hurdman, a Big Eight

accounting firm. He was also a personal friend of the APPELLANT whose wife, Mary Lynn, was hired
Stan J. Caterbone Chapter 11

Page 163 of 355

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Case: 15-3400

Document: 003112140828

Page: 2

Date Filed: 11/27/2015

as an executive assistant at Financial Management Group, Ltd., Mike Dipaolo referred the pension
plan to the APPELLANT in order to bid on the management of that pension plan. The Court will see
the bidding documents from several management firms that were requested to provide disclosures
to the APPELLANT in order to secure the management of the pension plan. That project alone would
have generated some $900,000 in management fees to the APPELLANT on an annual basis, of which
the APPELLANT had a fee sharing agreement with Mike Dipaolo that would have generated at least
$250,000 per year in annual income. The following outlines income and equity owned and claimed
by the APPELLANT, not by Financial Management Group, Ltd., The APPELLANT had an agreement
for sharing approximately 10% back into the firm of Financial Management Group, Ltd., which was
negotiated by Robert Kauffman and the APPELLANT.

In the July of 1987, after the meeting with ISC executive Larry Resch of June 23, the
APPELLANT and Tony Bongiovi had a meeting on the Wildwood Boardwalk, namely the portion that
Tony Bongiovi owned. The APPELLANT was already named in the operating budget of the movie to
receive $200,000, not including the Managing Limited Partner Fee of the investors, as outlined in
the original documents which the Court can confirm.

On that night, Tony Bongiovi had made a

verbal disclosure to the APPELLANT that he wanted the APPELLANT to manage the business affairs
of every project that Tony was then involved in and promised that the APPELLANT would share in
the profits of every said project. In addition to the Digital Movie, Tony was involved in a number
of other projects including but not limited to the pier of Wildwood in which Tony wanted to open an
open-air concert venue, similar to that of the Steel Pier in Atlantic City. Tony also had a project in
which he was recreating the flight of Amelia Earhart; the recording artists and band that was
secured and under management for the past year or so called French Lick; the comic act of the
Wid; the video editing suite at power station built by engineer Ed Evans; and of course the
recording studio itself Power Station Studios, now operating as Avatar Studios of New York. The
APPELLANT can only guesstimate that those revenues and future revenues would be worth almost
the full $50,000,000 today had many of those projects been successful. The Court is reminded at
the track record and resume of both the APPELLANT and Tony Bongiovi.
On March 2nd of 1987 the Court will see a document from real estate developer Owen Kugal
that outlines the fees to the APPELLANT for the securing of financing his real estate portfolio, that
fee is stated at $433,592.

The APPELLANT had also secured financing for Noris Boyd, of Boyd

Wilson and owner of the Olde Hickory property on the Oregon Pike. The financing package was for
a refinance agreement of $5,000,000.000 which would have generated at least a $75,000.00 fee for
the APPELLANT.

In May of 1987, the APPELLANT and attorney Randy Grespin, of Life Underwriters of
Harrisburg (Owned and Operated by Tony Pascotti and representing Tony Pascotti) flew in the
APPELLANT'S plane to Atlanta for a scheduled meeting with Bill Koegler of the Planners Securities
Stan J. Caterbone Chapter 11

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Page: 3

Date Filed: 11/27/2015

Group, a regional Broker Dealer. The APPELLANT had negotiated a merger of Financial Management
Group, Ltd., and Planners Securities Group which contained a clause granting Financial Management
Group, Ltd., a 10% ownership position, which was worth approximately $1,800,000. The deal was
consummated by a vote of the FMG Board of Directors in May of 1987.

The Court will see a

document titled Financial Analysis of FMG in June of 1987 which values the shares of FMG at
approximately $17.00. The APPELLANT at that time owned some 50,000 shares, which puts a fair
market value of approximately $850,000.00 in his FMG stock holdings.

The real estate holding of the APPELLANT is outlined in the Chapter 11 Reorganization Plan,
the EXHBIT.

The APPELLANT does not intend to overburden the Court with unnecessary filings, however
this burden of supporting the claims and statements falls on the shoulders of all those in the
government that ignored the APPELLANT'S pleas for help to resolve these issues dating back to the
days immediately following the meeting with International Signal & Control, Plc., (ISC) Executive
Larry Resch on June 23, 1987.

/s/ Stanley J. Caterbone


Date: November 27, 2015

Stanley J. Caterbone, Pro Se Appellant


1250 Fremont Street
Lancaster, PA

17603

(717)-669-2163
[email protected]
http://www.amgglobalentertainmentgroup.com/__

Stan J. Caterbone Chapter 11

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Case
Case:
05-23059-ref
15-3400

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Filed
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01/12/10
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Stan 3. Caterbone and Advanced Media Group


Chapter 1 1 Petition For Reorganization
Case No. 0 5 - 2 3 0 5 9
January 1 1 , 2010

REORGANIZATION PLAN

TABLE OF CONTENTS

I.

Executive Summary

II.

Torture As A Social Engineering Experiment

III.

Computations and Valuations of Net Worth

IV.

Amended Accounts Receivables


Financial Statements

Stan J. Caterbrone(5 Pro Se


Advanced Media Group
[email protected]
www.amQalobaientertainmentQroup.com
www.advancedmediagroup.wordpress.com

www.scribd.com/3maroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ninQ.com/profiie/StanJCaterbone
http://www.voutube.com/advancedmediaQroup
1250 Fremont Street
Lancaster, PA 17603
(717) 826-5354 Phone
(888) 533-3606 Facsimile

illtfC#^
Reorganization Plan Page 1 of 31
Stan J. Caterbone Chapter 11

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I. Executive Summary

Reorganization Plan Page 2 of 31


Stan J. Caterbone Chapter 11

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ADVANCED MEDIA GROUP


ADVANCED MEDIA GROUP, LTD.,
&
STAN J . CATERBONE
Federal Whistleblower (Federal False Claims Act Violation in 1987 re ISC)
Targeted Individual of U.S. Sponsored Mind Control
and Directed Energy Devices and Weapons

EXECUTIVE SUMMARY*"
copyright 2009
"Va know what, I am beginning to analyze this War on Terror and am having difficultY understanding i t all. To me
the most effective fundamental light against Extreme Terrorism is to reduce the motive; or the Hatred Against America.
No one seems to talk about that subj&t. How do we reduce that Hatred Towards America and the West?
See, from m y perspective, my situation is very disturbing. I mean we have ttie United States Torturing Me, a U.S. Citizen
for no good or valid reason. I have warned EVERYONE about using my situation to feed this HATRED towards America.
Low and behold a week or so ago I have had several Muslims sign up as Followers to my ^ww. scribd. com/amtjmupOi
online webspace, which I use to post documents. The following being the most prominent IKWAN Scope, "The Largest
Muslim Brotherhood's Scope on the Web":
tM0.il/LkhwanscoQe._net/matnl
There have also been several Muslim individuals who signed up as followers around the same time, a week or so ago.
They have also signed up as followers on my wMwjMit^iComJM.3JiQstmto.ng webspace.
You must understand, I a m a VERY Patriotic Person a n d live a very patriotic life - I believe in the U.S,
0nstitution s n t t Out Founding F a t h e r ' s vision for America; I s u p p o r t Our Military a n d o u r Troops; J believe in
t h e Rule of Law; I am a Practicing CMhoiic,- a n d have been my whole life; I Believe in t h e TRUTH; I believe in
Right V. Wrung,} Qomi v. Eviff a n d finBiif X iteiiBve in Sod,
What do ybu believe i n ? "

Date CompietiM:
Date Initiated:

Fulton Bank Stock M e s s a g e Board, J a n u a r y 7, 2 0 1 0

July 28, 2009


July 8, 2009

Stan J. Caterbone
Advanced Media Group

scaterbone(iSijve.com
vjww.amqgiobalentertainmentaroup.com
www.advancedmed'jagroup.wordpress.com
www scri bd xo ini/a mq rou pO 1
www.facebook.com/scaterbone

www.twitter.com/StanCaterbone
vtfww.m.cvicttmsworld.ning.cQm/profiie/Stan3Caterbon^
http://www.voutube.com/advancedmediaqroup

IWCRp
Reorganization Plan Page 3 of 31
Stan J. Caterbone Chapter 11

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HISTORY
In 1987 Stan 3. Caterbone went public with allegations of fraud within International Signal
and Control, or ISC as they were commonly referred.

After discussions with ISC and United

Chem Con officials (an ISC/James Guerin straw company), and as a shareholder of record since
1983 of ISC, Stan J. Caterbone had a meeting with an ISC executive on June 23, 1987, which
resulted in a 22 year legal odyssey. The discussions involved a joint venture with his company,
Rnancial Management Group, Ltd., or FMG, Ltd., but ended in disclosure of his recent public
allegations of fraud. Four years later, ISC founder and chairman James Guerin, and other officials
and companies pleaded guilty to a $1 Billion Dollar Fraud and export violations including the
selling of arms through South Africa to Iraq and Sadaam Hussein.

However, money, power,

influence and public corruption had been used to cover-up the activities and Federal False Claims
Act violations of Stan J. Caterbone for the next eighteen years. There ensued a total blockade of
all United States Courts for all redress and remedy available in accordance with federal, state, and
local laws.

This included recovery of his business interests; intellectual property; real estate;

personal and business real property; his unblemished and impressive reputation; and his most
valuable asset - the ability to produce income. This might be legally referred to as the Right-ToWork under federal statutes.

Notwithstanding, Stan J. Caterbone has never made a bad

investment or developed a business that did not make a profit over the next 22 years.

This

includes two real estate properties that were illegally seized through foreclosure proceedings.

Since 1987 Stan J. Caterbone has been a prisoner and enemy of the state.

ISC was a

Department of Defense (DOD) Contractor and a partner with United States Intelligence Agencies
since it's beginings in the early 1970's. One of it's first contracts was Project X with the National
Security Agency or NSA of Ft. Meade, Maryland.
In summary, the following are facts and
INTERNATIONAL SIGNAL & CONTROL OR ISC:

part

of

the

public

record

regarding

Once the t h i r d ( 3 r d ) largest e m p l o y e r in the County of Lancaster, Pennsylvania, with


over 5,000 employees.

James Guerin, founder and CEO was once the largest philanthropist to charitable
organizations in the County of Lancaster, Pennsylvania.

The I S C / F e r r a n t i Scandal was the third (3) largest white-collar fraud within the United
States as of 1992.

The following are some of the public officials and politicians associated with ISC:
George H.W. Bush, former U.S. President, and Director of the Central Intelligence
Agency (CIA).

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Robert Gates, former Director of the Central Intelligence Agency (CIA) and current
Secretary of Defense.
Bobby Ray I n m a n , former Board of Directors if ISC, former Director of the NSA, and
currently associated and directly involved with Mind Control Research organizations.
Alexander Halg, former U.S. Secretary of State, and ISC lobbyist and Board of Directors?
Joseph McDade, former Pennsylvania House of Representative and Chair of the
Appropriations Committee who was later investigated for the United Chem Con scandal.
Carlos Cardoen/Cardoen I n d u s t r i e s , a joint venture partner with ISC and arms
merchant for the cluster bomb who eventually sold to Iraq and other Middle Eastern
Countries under U.S. sanctions.
ISC was credited with the design of the cluster bomb, and has patents filed in the U.S.
Patent Office.
In 1987 ISC completed the merger with the 3rd largest defense contractor of Great
Britain, Ferranti International; who paid $1 billion dollars for ISC and all of it's subsidiaries.
ABC N e w s / F i n a n c i a l Times aired 3 episodes on ABC Nightline with Ted Koppel regarding
the ISC/CIA defense weapons; technologies; and cluster bombs to Iraq story and lead into
the allegations that then nominee for the Director of CIA Robert Gates was involved with
ISC and the selling of arms to Iraq.
ABC News 2 0 / 2 0 aired a story on the ISC/CIA efforts to sell cluster bombs to Saadam
Hussein and Iraq on February 1 , 1991 days after the start of the Persian Gulf War I, with
the initial bombing raid destroying a cluster bomb factory built in Iraq by Carlos Cardoen.
On July 1st and 2nd of 1987 Stan J. Caterbone solicited the legal counsel of Lancaster
Attorney Joseph Roda for counsel regarding, FMG, Ltd., International Signal & Control
(ISC); Commonwealth Bank, etc., and was billed for his services. Joseph Roda did
absolutely nothing but refute Stan J. Caterbone's claims and would not believe him.
I n Clark v . Guerin ( C I - 1 9 9 0 - 0 0 7 4 Lancaster County Court of Common Pleas), Lancaster
Attorney Joseph Roda represented William Clark, ISC's in-house legal counsel, and never
mentioned any conflict to Stan J. Caterbone in 1987.
I n Clark v . Guerin (CI-1990-0074 Lancaster County Court of Common Pleas), James
Guerin deposited $1.75 million dollars into an escrow account at Fulton Bank, Lancaster,

County.
I n Clark w. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),
Christopher Underbill of Harman, Undertiill & Brubaker, represented James Guerin. In
2005 Christopher Underbill represented the Manheim Township Police Department (05-cv2288 U.S. District Court for the Eastern District of Pennsylvania) CATERBONE v. Lancaster
County Prison, et. al,.

Reorganization Plan Page 5 of 31


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I n Clark v . Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Philadelphia Attorney Joseph Tate represented James Guerin and ISC, and in 2007 Joseph
Tate represented Scooter Llbby during his federal prosecution by U.S. Special Prosecutor
Fitzpatrick.

THE M A N I F E S T OF A COVER-UP
Not only did the allegations of fraud within ISC have to be silenced at a time when merger
negotiations were ongoing with Ferranti, but all of the fraud; extortion; public corruption;
burglaries; civil rights violations; anti-trust and intellectual property right violations; lender
liability torts; false arrests; false imprisonments; as well as other civil and criminal activities had
to be covered up and buried in bureaucratic red tape.
uncovered and discovered to this day.

Information and findings are still being

Contrary to popular belief, up until 1996 a grand jury

investigation into ISC was still ongoing. It is not known whether it has closed or not. All of these
activates constitute a RICO crime due to the pattern and organization of the perpetrators. The
pattern and source of the activities can be traced back to 1987, with subgroups changing over
time, but stiii engaging in the same practices. The following plan of action was followed in order
to perpetrate the cover-up:
Totally discredit Stan(ley) J. Caterbone and any and all allegations in every way
possible.
Fabricate a history of mental illness.
Fabricate a criminal record.
Attach his character and honesty with rumors and propaganda.
Extort and maintain his net worth to $ zero or load him with debts.
Keep him out of any profession and or occupation when and where possible.
Totally isolate him and disenfranchise him from his friends, colleagues, and family
into a life of solitaire.
Somehow persuade the community of Lancaster County to buy into this plan of
action through money, favors, etc..
Always keep attorneys and anyone remotely involved with the legal community
away at times when efforts for justice are pursued.
When attempts to enter the U.S. legal system arise, isolate, harass, and extort any
monies and/or possessions of value.
Change the history of events and the truth.

ntnT^
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Stan J. Caterbone Chapter 11

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T H E COURTS A N D T H E U N I T E D STATES LEGAL SYSTEM
For eighteen years, (from 1987 until 2005) it has always been fairiy easy to keep these
issues from court dockets and judges. During these years Stan J. Caterbone had solicited at least
twenty attorneys, some from large firms with national recognition in their respective fields of
specialties. Attorneys from New York City to Santa Barbara and San Diego California were visited
and consulted as well as a group of ex FBI agents who specialized in white collar crime that are
now globally recognized. However, the money and Influence of persons and entities that wanted
these issues silence always prevailed. The issues were so complex and convoluted, and involved
such high profile politicians and U.S. agencies, it was far easier to state that there was no case, or
their were no claims that would result in remedy or redress. Between the Republican Party and
the Department of Defense, the CIA and the NSA, there was not an attomey that could not be
influenced. The obstruction of justice and due process in this case is most likely unprecedented in
nature and in malice.

However in 2005 that all changed when Stan J. Caterbone appeared as a pro se litigant
representing himself, without any counsel, in the United States District Court for the Eastern
District of Pennsylvania in CATERBONE v. The Lancaster County Prison, et. al., or case no. 05-cv2288.

This case is still n o t settled and has been w i t h d r a w n by plaintiff Stan J.

Caterbone i n October of 2008 a f t e r a successful r u l i n g in t h e U.S. T h i r d Circuit Court of


Appeals ( 0 7 - 4 4 7 4 ) i n September of 2 0 0 8 . The case w i l l be continued upon t h e security
o f evidence and t h e cease and desist of o b s t r u c t i o n of j u s t i c e and due process. On May
16, 2005 at the Federal Courthouse in Philadelphia, Stan J. Caterbone filed the case under seal.
One week later in the United States Bankruptcy Court for Eastern Pennsylvania in Reading,
Pennsylvania, again appearing as pro se, Stan J. Caterbone filed a petition for protection under
the Chapter 11 Bankruptcy Code, in case no. 05-23059.

These acts of entering the United States legal system with these issues triggered yet
another round of attempts to keep these cases from the courts and judges - Organized Stalking
with Directed Energy Devices and Weapons, built on a foundation of mental telepathy or total
Mind Control.

REMOTE V I E W I N G ; O R G A N I Z E D S T A L K I N G ; D I R E C T E D ENERGY DEVICES A N D


WEAPONS.
Organized stalking and harassment began in 1987 following the public allegations of fraud
within ISC. This organized stalking and harassment was enough to drive an ordinary person to
suicide. As far back as the late 1980's Stan J. Caterbone knew that his mind was being read, or

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"remotely viewed". This was verified and confirmed when information only known to him, and
never written, spoken, or typed, was repeated by others. In 1998, while soliciting the counsel of
Philadelphia attorney Christina Rainville, (Rainville represented Lisa Michelle Lambert in the Laurie
Show murder case), someone introduced the term remote viewing through an email. That was
the last time it was an issue until 2005. The term was researched, but that was the extent of the
topic.

Remote Viewers may have attempted to connect in a more direct and continuous way

without success.

In 2005 the U.S. sponsored mind control turned into an all-out assault of mental
telepathy; synthetic telepathy; 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 Stan J. Caterbone with mental telepathy. The
main difference opposed to most other victims of this technology is that Stan J. Caterbone is
connected 24/7 with a person who declares that she is Interscope recording artist Sheryl Crow of
Kennett Missouri. Stan J. Caterbone has spent 3 years trying to validate and confirm this person
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.

See attached documents for

more information.

In 2006 or the beginning of 2007 Stan J. Caterbone began his extensive research into
mental telepathy; mind control technologies; remote viewing; and the CIA mind control program
labeled MK ULTRA and it's subprograms.

FAMILY HISTORY
If you listen to the propaganda machine and the community of Lancaster County,
Pennsylvania, including professionals, the family history of Stan J. Caterbone goes something like
the following:

Father, Samuel Caterbone, Jr., Schizophrenic who ran out on his family because
of nervous breakdowns while trying to run a small dry cleaning business.

He

traveled the worid looking for the Blessed Mother Mary and Space Aliens. He ended
up living in government subsidized housing broke and with a severe mental illness.

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Brother, Samuel A. Caterbone, suffered from the very same illness has his
father. Schizophrenia, who finally killed himself trying to live in California.

Brother, Thomas W . Caterbone, suffered from the very same mental illness as
his brother, Stan J., Bipolar Mood Disorder, who ran a lawn business and finally
committed suicide at an eariy age.

Stan J . Caterbone, suffered from Bipolar Mood Disorder, or Manic Depression and
had a nervous breakdown in 1987 trying to compete in the financial services
industry.

When he has his nervous breakdowns, he always threatens to sue

everyone in court and is deeply paranoid in thinking the whole world is against him.
He always spends all of his money during his fits of mania and has delusions about
his success as a businessman.
The Family History was formulated back in the 1960's when Samuel Caterbone, Jr,
father of Stan J. Caterbone, became engaged in a black budget mind control program that began
during his service in the United States Navy as a radioman and air gunner.

Samuel Caterbone,

Jr., was most likely a direct product of MK ULTRA or one of it's subprograms. His brother, Samuel
A. Caterbone, was most likely part of the LSD experiments of MK ULTRA. Stan J. Caterbone is
most likely part of a program sponsored by the Department of Defense Agencies, such as DARPA
or the Defense Intelligence Agency (DIA). The facts of Stan J. Caterbone's intimate discussions
with both his father and brother over the years before they died, the totality of documents that
were preserved in thier estate, including service records; letters; official court papers; high school
documents; and the like - all will prove that they were in fact part of MK ULTRA or one of it's
subprograms.

The following are the facts and the real record of the family history:
Samuel P. Caterbone, Jr., (Father) served in the Navy from 1943 to 1946 and
graduated with honors from Air Gunners School in Jacksonville, Florida. He was an exceptional
student/athlete while attending Lancaster Catholic High School, participating in the band as well
as sports. He was also his senior class secretary/treasurer. After the Navy, he went on to build a
successful dry cleaning business, which he is credited with inventing a filtration system for the
solvents.

He also developed a very good investment in real estate along the Manheim Pike,

owning several properties.

By his own writings and from his personal accounts to me, he was

definitely a remote viewer for some U.S. Agency with telepathic abilities.

His viewing is

documented to have t)egun back in the early 1970's. He also suffered from organized stalking,
and was considered an enemy and prisoner of the state.

Back in the 1960's, he was a worid

traveler, this is documented by his passports. Samuel P. Caterbone, Jr., mav_l]ave been a covert

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carrier for someone in intelligence. Samuel P. Caterbone, Jr., had his mental health history laced
with electro shock therapy.

Electro Shock Therapy Experiments is another subprogram of MK

ULTRA. In addition, and especially disturbing is his criminal record with the Lancaster City Police
Department and the Lancaster County Court of Common Pleas. In 1973 Samuel P. Caterbone, Jr.
was convicted of forging a 2 checks from the Caterbone Cleaners, Inc., checking account. The
one check to Joe the Motorists Store at the Manor Shopping Center was never entered into
evidence, it was for a total of $70.00.

The other check was made out to Lancaster Attorney

James Coho for $200.00 with "divorce proceedings" written in the memo.
criminal record.

This was his only

Samuel P. Caterbone, Jr., was sentenced to one year probation by President

Judge William Johnstone.

However, on August 29, 1973 after nine months. Judge Johnstone

wrote an ORDER releasing him from probation and ordering him to "leave the vicinity of the
County of Lancaster, Pennsylvania". The President Judge of Lancaster County Court of Common
Pleas literally threw my father out of Lancaster County for forging 2 checks from his own
corporation. In 1987 I was arrested for stealing my own files from my own company, Financial
Management Group, Ltd., You can research the life of Candy Jones and Kate O'Brien to learn more
on this topic. Samuel Caterbone, Jr., has left enough writings and documentation to know that his
life fits the model for targeted individuals, complete with economic ruin, isolation, disenfranchised
from family and friends, and of course a fabricated mental illness history. You can view most of
his record online.

Samuel A. Caterbone, ( B r o t h e r ) served in the United States Air Force in 1968 to 1970.
In 1991, Stan J. Caterbone accused the United States Govemment of using his brother, Samuel A.
Caterbone for part of the LSD experiments on mind control, or MK ULTRA. A notarized letter of
October 23, 1991 was sent certified mail to the California Attorney General on the subject matter,
with a return letter from the California Attorney General on January 14, 1992.

By his own

admission before his death, Samuel A. Caterbone disclosed to Stan J. Caterbone of the "bad LSD"
trips while in the Air Force. Since his death of December 25, 1984, Stan J. Caterbone and others
questioned the classification of suicide, and made allegations of foul play that was ultimately
responsible for his death. Finally in a meeting in Santa Barbara, California with the Santa Barbara
Public Guardian's Office, an office admitted that the death was more likely due to foul plan than
suicide.

Samuel A. Caterbone was also an exceptional student and athlete while attending

Lancaster Catholic High School.

After playing vareity football as a sophomore, he had an

unfortunate accident while deer hunting the following November.

While in the woods in

Bellefonte, Pennsylvania, his hunting pants caught fire trying to stay warm.

It left him in the

Lancaster General Hospital for months, going through painful skin grafts and isolation.

The

hunting accident interrupted his athletic career and scared his legs for life. The Schizophrenia
diagnosis was a combination of LSD flashbacks and organizfl..f4s'k*ni and harassment.

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Thomas P. Caterbone, ( B r o t h e r ) had an unfortunate transaction at Fulton Bank that set
a course of action that resulted in a suicide. Although diagnosed with Bipolar Disease and Manic
Depression embezzled and extorted monies were most likely the reason for his suicide in 1996.
Fulton Bank was involved in a fraud that took $72,000 from a real estate settlement closing and
lead to his total financial ruin and collapse in June of 1995. The fonds were never recovered and
Fulton Bank is a defendant for a wrongful death claim in the United States District Court for the
Eastern District of Pennsylvania in CATERBONE v. Lancaster County Prison, et. al., 05-cv-2288.
FULTON BANK triggered a severe and lethal death blow to Thomas P. Caterbone, and as of this
day has refused to acknowledge any wrongdoing or remorse. Thomas P. Caterbone was also an
exceptional athlete. Playing for Lancaster Catholic High School, Franklin and Marshall College, the
Harrisburg Patriots, and even the Philadelphia Eagles. Tom also coached football at J.P. McCaskey
and Franklin and Marshall College,

Thomas P. Caterbone had a very successfol lawn and

landscaping business before joining forces with John DePatto of United Financial Services and
selling residential mortgages.

John DePatto was the former head of Parent Bank, owned by

James Guerin and ISC. Parent Bank, owned by ISC also foreclosed on 2323 New Danville Pike,
Conestoga, Pennsylvania in 1988, which was owned by Stan J. Caterbone. Thousands of dollars
of equity was extorted in the process, despite still being short sold for a profit to Mr. Keith
Kirchner, an executive of Lancaster Newspapers and former graduate of Lancaster Catholic High
School.

Stan J. Caterbone is a r e m o t e v i e w e r , is telepathic, and a federal whistleblower with an


exceptional entrepreneurial record in spite of all of his adversaries and their assaults. In spite of
the U.S. Sponsored mind control and torture, he has endured and will prevail.

Legally, Stan J.

Caterbone has been able to preserve his claims, and progress his legal challenges and claims
through both the federal and state court system appearing pro se, without the aid or expense of
additional legal counsel. Some of his claims and briefs will most likely be landmark decisions in
years to come. Stan J. Caterbone was a 2-Sport MVP at Lancaster Catholic High School, in both
football and track. Stan J. Caterbone never received less than a B grade in his four years of high
school and had an 87+ average. Stan J. Caterbone excelled in computer technologies, taking his
first full term course in 1975, while in high school and continuing into college at Millersville
University, graduating with a degree in business administration in 1980.

Stan J. Caterbone

excelled profoundly at building his companies, first beginning with Financial Management Group,
Ltd., then working with Tony Bongiovi of Power Station Studios and the "Digital Movie"; then
building Advanced Media Group, Ltd..

Over the years, despite the illegal seizures and

foreclosures, Stan J. Caterbone has amassed a portfolio of impressive real estate deals that have
always paid off in profits, no matter how or when they were sold.
businesses.

The same was true of his

Financial Management Group, Ltd., was a $ 2 0 . C A 0 dollar investment in 1986 and

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was still sold for approximately $100,000 two years later, despite the false arrests and the
extortion of most of it's real value and equity.

The m e n t a l health h i s t o r y and t h e c r i m i n a l records were completely fabricated, and a


close review and investigation into the actual court records and hospital records can prove that in
very short fashion. There are TWO (2) ways to quickly dispute the Mental Health History and
Record:
One - Review t h e w o r d " D e l u s i o n a l ; delusions; etc.,;

every instance of the word

used by mental health professionals, and the false reports by friends and family were associated
with facts, and matters of the official record, the complete opposite of the meaning of the word
"delusional". And they still exist to this very day.
T w o - Review t h e 3 Fabricated Suicide Allegations of the following dates: August
10(?), 1987 at Burdette Tomlin Hospital (Cape May County New Jersey); February 18th(?), 2005
by Kerry Egan and the Southern Regional Police Department; and July 19, 2009 for the 302
Commitment by the Lancaster City Police Department at Lancaster General Hospital.
The Criminal Record is very similar, since 1987 Stanley J. Caterbone has had 31 false
arrests; formal charges and convictions dismissed prior to court proceedings or won on summary
appeals in the County of Lancaster, Pennsylvania; most of which Stan J. Caterbone appearing as
pro se (representing himself). These have resulted in civil complaints filed in 2008 in CATERBONE
V. The County of Lancaster, Pennsylvania in U.S. District Court for the Eastern District of
Pennsylvania.

THE PUBLIC RECORD


The Public Record is comprised of court filings and exhibits in U.S. Federal Courts;
Pennsylvania State Courts; and the Lancaster County Court of Common Pleas. In all some 40,000
pages of documents are now filed and electronically scanned or microfilmed in prothonotary
offices. In addition in both the U.S. Federal Courts and the Lancaster County Court of Common
Pleas there are more than 11 hours of audio recordings; some 3,000 scanned images; and
several video broadcasts of the ISC News broadcasts all stored on a CD-ROM and filed as an
exhibit to some of the law suits filed by Stan J. Caterbone and Advanced Media Group, as
plaintiffs. Stan J. Caterbone has over 100 court docket sheet numbers in federal, state, and local
courts.

There are also Pennsylvania Unemployment Compensation records; Department of Welfare


and Lancaster County Assistance Office records; Local Real Estate Tax records; Lancaster County
Tax Assessment records; Social Security Administration Benefits records; Lancaster Catholic High

ft
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School transcripts; Millersville University transcripts; all for Stan J. Caterbone, in addition to his
court filings.

For Samuel A. Caterbone, m y b r o t h e r , there are United States Air Force service
records; Lancaster Catholic High School transcripts; Millersville University transcripts; Social
Security Administration records; Santa Barbara County Guardian and Public Defender records;
and papers and documents persevered from his estate.

For Samuel P. Caterbone, m y f a t h e r , there are United States Naval records, Lancaster
Catholic High School transcripts; Social Security Administration records; Lancaster County
Assistance Office records; Local Real Estate Tax records; Lancaster County Tax Assessment
records; Samuel Caterbone Cleaners, Inc., corporate records; Real Estate Deeds and Mortgages;
Lancaster County Court of Common Pleas civil and criminal records; and of course papers and
documents persevered from his estate

P U B L I C W E B S I T E ADDRESSES OF I N T E R E S T :
www.amQqiobaientertainmentqroup.com
www.advancedmedjaqroup.wordpress.com
wv>/w. scri bd .com/a mcirou pO 1
vrww.facebook.com/scaterbone
www.twftterxom/StanCaterbone
www.mcvictimsworfd-ninq.com./profile/StanJCaterbone
http://wvi/w.youtu be.com/advancedmedJaqroup
WWW.FREEDOMFFCHS.COM

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IMS*

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September 7, 2009

Stan J. Caterbone
Advance Media Group
1250 Fremont Street
Lancaster, Pennsylvania 17603
Derrick Robinson
Freedom From Covert Harassment and SurveilSance

PO. Box 9022


Cincinnati, Ohio 45209
Phone 1-800-571-5618
Fax 1-866-433-4170

email: InfciillreM^Ilfclisxom
Re: I s County o f Lancaster, Pennsylvania Ground Zero f o r Organized Stalking and
Covert Surveillance?
Derrick,
My pleasure. Derrick, I was trying to get group rates at our new Lancaster Convention Center
Marriot Hotel last week, just as a little fact finding mission. I have a theory that I would like to
send your way. I thought it would be very fruitful to bring some TI's together for a conference,
unless you think the exposure would be harmful.
I believe that they try new models for harassment; organized stalking and surveillance
here in Lancaster. Remember, Lancaster is now one of the most "Watched Communities"
country. "With those cameras, the Safety Coalition will operate and monitor 165 cameras
Lancaster City making Lancaster the most watched city of its size in the nation." See
attached. Watching you: City to add 105 more cameras.

on me
in the
across
article

I believe that Lancaster may be ground zero for some of the models of organized stalking and
harassment that we TI's experience and wanted to get some reaction from Lancaster. Some
history on the Lancaster Convention Center. Dale High of High Industries is the lead partner in our
new convention center/hotel. It is first class all the way. Now in the late 1980's I was a joint
venture partner with Dale High in American Helix Technology Company/Advanced Media Group.
American Helix was a cd manufacturer and I and my company Advanced Media Group was the
CD-ROM division of American Helix. I was one of a handful of CD-ROM manufacturers in the
domestic United States back then. Also in 2005 I filed a civil action against the lead hotel, the
Eden Resort Inn, for trying to block the development and building of the Hotel/Convention Center,
see
attached.
Now, some history about Lancaster and the intelligence community. Back in the 1980's there were
several defense contractors located in Lancaster, the main being Internationai Signal & Control,
which I, of course, blew the whistle on a biiiion doNar fraud and arms to Iraq.
Cijck here for an ovei-view of ISC.
Ciick here to see the Lancaster Newspapers Archives.regarding International Signal & Control, or
ISC.
Click here to view the live video of the WGAL-TV News Broadcav nf OcMber Jl.ti9ilL..ihe.jjviening
of the ISC indictments. The U.S. Department of Justice and other U.S. .Agencies hciid a Press

iMiro
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Conference in the Phitadeiphia Federal Courthouse to announce the indictments and $ Bi'iiion
PoJiar FraudClick here fgr Part 2 of the WGAL-TV 8 Broadcast.
Now politically, Lancaster is and has always been predominately Republican. Lancaster is one of
the oldest cities in the country and our courthouse was one of the first in this country. Lancaster
has one of the oldest fraternities of the Masons. Lancaster and the George W.Bush administration
has a close and very "interesting relationship". George H. Bush had a very close relationship with
ISC, and of course the NSA and CIA all had a very "close" relationship with International Signal &
Control, or ISC. The following are some transcripts for Ted Koppel and ABC News Nightline
regarding ISC and Arms to Iraq and the intelligence community. The transcripts are contained in
my Amicus for Case No. 2006-'Cv-2160 fiied in the Eastern District of Michigan, Southern Division.
Now, Robert Gates, presently the Secretary of the United States Defense Department, and his
relationship to Lancaster. First of all, the attached video is the authentic transcript of Robert
Gates' confirmation hearing in September of 1991 for the Director of the Central Intelligence
Agency (CIA). If you fast forward to approximately 9:00:00 you will see the back and forth
questions from Senator Murkowski to Robert Gates regarding the allegations by several members
of the U.S. Senate Select Committee on Intelligence regarding his alleged involvement with ISC
and the Arms deals with Carios Cardoen and the shipping of cluster bombs through South Africa
and on to Iraq. Of course, he denied all of the allegations.
Robert Gates also has relatives that live in Lancaster County, if fact he dtl:ended a weddino here a
few months ago, on May 3, 2009 at St. John Neuman Catholic Church in Manhiem Township,
Lancaster County. His wife has a niece that lives in Manheim TowQship.
Now, I'll give you the ABC News Nightline May 23, 1991 excerpt regarding ISC and the NSA,
National Security Agency:
"It all started legally, if covertly, back in 1974. That's when the National Security Agency, a supersecret U.S. Intelligence unit asked ISC to help complete project X, a chain of electronic listening
posts based at South Africa's Simonstown Naval Station. South Africa was using these posts to
follow Soviet submarine traffic off of the Cape of Good Hope. To ensure secrecy, ISC and the NSA
made sure shipments could not be tracked back to them. They created a company called Gamma
Systems Associates. In fact, this company was nothing more than a post office box at John F.
Kennedy Airport. Gamma was a cut-out. ... But this sanctioned covert operation was stopped in
1977 when President Carter, a strong opponent of South Africa's apartheid regime, told U.S. firms
to stop any military-related business with Pretoria. But ISC continue shipping electronics, some
civilian, some military, to South Africa. The in the eariy 1980's, South Africa began to intensify its
efforts at ballistic missile development. For ISC, that was a golden opportunity because on of its
top executives was a man named Clyde Ivey, an American electronics expert who has been the
father of South Africa's missile program. Ivey had extraordinary contacts in the nations defense
structure. Begining in 1984, federal investigators say, senior ISC exeutives, including Ivey, began
regular contacts with CIA officials." You can read the rest. The entire transcript of the May 23,
1991 ABC News/Nightline broadcast.
Now remember, George H. Bush was director of CIA. "He served in this role for 357 days, from
January 30, 1976 to January 20, 1977.[22] The CIA had been rocked by a series of revelations,
including those based on investigations by Senator Frank Church's Committee regarding illegal
and unauthorized activities by the CIA, and Bush was credited with helping to restore the
agency's morale.[23] In his capacity as DCI, Bush gave national security briefings to Jimmy
Carter both as a Presidential candidate and as President-elect, and discussed the possibility of
remaining in that position in a Carter administration[24] but it was not to be," according to
Wikipedia.

HitTOf^
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Now, lets get to Bobby Ray Inman, former Navy, Director of the National Security Agency (NSA),
former Director of International Signal & Control (ISC), and currently part of the Mind Control
industry. The following appears on the Welcome page of my website:
"S.A.I.C. involvement in 1993 American Para psychological Association meeting arrangements, via
their 'Cognitive Sciences Laboratory'. Science Applications International Corporation is a big time
defense contractor, has held the largest number of research contracts of any defense contractor.
Bobby Ray Inman (ISC Board of Directors) is on its board of directors, among others."
by John Porter, CIA Program on Mind Control copyright 1996. In 1994, after Bobby Ray Inman
requested to be withdrawn from consideration as Bill Clinton's first Defense Secretary, his critics
speculated that the decision was motivated by a desire to conceal his links to ISC. Inman was a
member of the so-called "shadow board" of the company which was allegedly either negligent or
approved the exports." by Wikipedia on International Signal and Control, (ISC).
Now, lets list the former Navy personnel:
George H. Bush, former President of the United States, former Director of CIA.
James Guerin, President and Founder of International Signal & Control.
Bobby Ray Inman, former Director of the National Security Agency (NSA) and Director of
International Signal & Control, (ISC).
My father, Samuel P. Cateronne, Jr.
His father, Samuel J. Caterbone, Sr.
George Noory, of Coast to Coast Radio (just anecdotal, nothing assumed or alleged).
George W. Bush flew with the Navy.
James Cross
I will Finish later and add more.
Next we get to Jim Guerin's attorney back in 1989 through at least 1992. His name was Joseph
Tate, of Philadelpha. This link will take you to a document regarding Joseph Tate. James Guerin
and Joseph Roda. Esq.. of Lancaster;, my former attorney who said I fabricated everything back in
1987. The document contains a letter of September 12, 2005 from Special Prosecutor Patrick
Fitzgerald regarding Scooter Libby, Former Vice President Dick Cheney's Chief of Staff, the letter
involves Scooter Libby's Grand Jury Indictment for leaking Covert CIA Operative Valerie Plame
and eventually outing her.
Now in Austin Texas in July of 2005 I was detained by 2 Agents from The Defense Intelligence
Agency. I was merely visiting a Military Museum, that had old and vintage helicopters and
airplanes, near where my brother. Dr. Phillip Caterbone lived. I was visiting on my way to
California. While inside the museum 2 Agents from the Department of Defense Defense
Intelligence Agency escorted me outside to my Honda Oddesey and interrogated me making me
confirm that I was visiting and staying with my brother. They caused a problem for my brother's
Medical Practice by shaking up one of his secretaries. The reviewed my court documents for
CATERBONE v. Lancaster County Prison, et. al.. Case iMo. 2005-cy-0288 filed in the U.S. District
Court for the Eastern District of Pennsylvania. The demanded that I stay off ail military bases
before releasing me.
In 2006 I was telepathic with an older NSA executive on many occasions who wanted to meet me
at the Clipper Stadium who told me he wanted to rent a facility in Lancaster for a training
exercise. I told him to to and see Dale High and the High Group for space at the Greenfield
Industrial Park. He said he was retiring and that our discussions were keeping him a few weeks
longer than expected. We had intimate discussions of my history and the Chesapeake Bay Area.
We also discussed Sheryl Crow, and he told me his wife was a fan. I turned him on to her new
album, Wildflower, and he said she liked it. We had to disengage because he was being harassed
by other telepathic assailants.

nHio^
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My former secretary (Susan Bare) at Pflumm Contractors, Inc., where I was controller and was
hired to rescue the company from near bankruptcy in 1993, told me that her husband, Ross Bare,
who grew up just some 10 or so doors from me, worked for the NSA. She disclosed this soon
after I hired her in 1994 or 1995.
I will finish later and add to this allegation. This is a work-in-progress.

Stan J. Caterbone
Advanced Media Group
[email protected]
y/ww.amgqiobaienteitainmentgroup.com
www.advancedmedJagroup.wordpress.com
www.scribd.com/amqroupOl
waw.iiicebi}ok.,ccimZscat.e^^
www.twitter.com/StanCaterbone
www.mcvictimsworid.ntnq.com/proftJe/StanJCaterbone
http://www.youtube.com/advancedmedjagroup

nmur
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DOCUMENTS ATTACHED FOR R E V I E W
=*'* I t is i m p o r t a n t t o n o t e t h a t as o f t h i s w r i t i n g . Remote V i e w i n g has recently
been commercialized by c o r p o r a t e America, and certain Fortune 500 companies are
using Remote V i e w e r s as c o n s u l t a n t s f o r t r e n d analysis and m a r k e t forecasts. This is
o f t e n t h e e v o l u t i o n of m o s t technologies b o r n o u t of t h e U.S. D e p a r t m e n t of Defense.
Top Secret e x p e r i m e n t s
secretive f o r so l o n g .

and t h e r e s u l t i n g technological advancements

can

stay

This has recently been used in a NBC s t o r y of t h e Television

d r a m a " M e d i u m " t h i s last season.

On July 9, 2008 Z had recorded an AM radio live

broadcast o n WHAN Coast t o Coast w i t h a guest t h a t w a s one of t h e leading Physicist


t u r n e d Remote V i e w e r and e x p e r t t h a t t e s t i f i e d t o this same n o t i o n .

Stan J. Cat^
Advanced fAe6\S Group
[email protected]
www.amg9iobaientertainmentgroup.com
\A(v.^w.advancedmediaQroup.wordpress.com
www.scribd.com/amoroupOl
www.facebook,com/.scaterbone
wwY^/.twitter.com/StanCaterbone
Vi^ww.mcvictimsworld.ninq.com/prof1ie/Stan3Caterbone
http;//www.youtube.com/advancedmediagroup

iiitn#^
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II) Torture As A Social Engineering Experiment

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imMi-\
iPSffi^
Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

scaterbone(i3iiive.com
www.amqglobalentertainmentaroup.com
www.advancedmectiaqroup.wordpress.com
www.scrlbd.com/amaroupQl
www.facebook.com/scaterbone
www.twltter.com/StanCaterbone
www.mcvictimsworid.nina.com/profile/StanJCaterbone
httD://www.youtube.com/advancedmediaqroup

A m I A Social Engineering Experiment Leading To


The Destruction o f Our Civil Liberties and Freedoms?
The core fabric o f t h e United States o f America t h a t sets us apart f r o m t h e rest of t h e
w o r l d are, i n f a c t , o u r civil liberties and f r e e d o m s .
Let me be quite frank and honest here, I am very experienced in the matters of Mind Control,
Brainwashing, and the use of Propaganda. I have had to deal with it my whole life. In fact, I am at
least second generation regarding the same. Watching and Listening as my father fought against
the same taught me one of the most important countermeasures that is required when such
attacks are levied against your life - DOCUMENTATION AND THE PRESERVATION OF THE TRUTH.
For example, in November of 1987 I microfiched 10,000 documents at Good Shepard Industry in
Allentown. Of course I still continue to record myself and others to protect myself and the truth.
You must remember, I not only have executed this countermeasure, I am expert in the technology
and the logistics required execute this countermeasure. This methodology and brainwashing
technique used against my person and my life is meant to destroy every truth known about me
and my life.
Now, i n a broader c o n t e x t if people and society are b r a i n w a s h e d into never
r e m e m b e r i n g or k n o w i n g w h a t o u r core civil liberties and f r e e d o m s w e i n h e r i t e d f r o m
our f o u n d i n g f o r e f a t h e r s , o r w h a t life w a s l i k e l i v i n g w i t h t h e m ; t h e r e w i l l be no one t o
p r o t e c t and defend t h e m .
My life and my situation could be used to demonstrate to the general public-at-large what
happens when someone continually fights to protect and preserve those same civil liberties and
freedoms - a life of torture; a life of isolation; a life of pain and suffering; a life of solitude; and a
life of poverty.
Now, you all think about this, and remember if Millersville University and the School Districts of
Lancaster County are allowing teachere and student teachers to teach our children falsehoods and
lies about our country, it's history, or its significance with regards to those same civil liberties and
freedoms, in my opinion that would be corrupting the morals of minors.
The City of Lancaster was called one of the most watched cities in America. "When it is complete,
the surveillance system will be bigger than those in large cities such as Philadelphia, San Francisco
and Boston. And the fact that it will be monitored by ordinary citizens has raised privacy concerns"
said the Associated Press in an article dated September 9, 2009 titled "Pa. city blankets streets
with security cameras".

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" I am beginning to analyze this War on Terror and am having difficulty understanding it all. To me
the most effective fundamental fight against Extreme Terrorism is to reduce the motive; or the
Hatred Against America.
No one seems to talk about that subject. How do we reduce that Hatred Towards America and the
West? See, from my perspective, my situation is very disturbing. I mean we have the United
States Torturing Me, a U.S. Citizenfor no good or valid reason. I have warned EVERYONE about
using my situation to feed this HATRED towards America.
Low and behold a week or so ago I have had several Muslims sign up as Followers to my
www.scribd.com/amqroupOl online webspace, which I use to post documents. The following
being the most prominent IKWAN Scope, "The Largest Muslim Brotherhood's Scope on the Web":
h ttp: / / i kh wa n SCO pe. n et/ ma i n/
There have also been several Muslim individuals who signed up as followers around the same
time, a week or so ago. They have also signed up as followers on my
www.twttter.com/StanCaterbone webspace.
You must understand, I am a ERT Patriotic Person and live a very patriotic life - 1 ijeliewe
i l l t h e U.S. Constitution and Our Founding Father's vision f o r America; I s u p p o r t 0 r
Military and our Troops; I believe in the Rule of Law; I am a Practicing Catholic,- and
have been m y whole life; I Believe In t h e TRUTH; 1 believe in Right v. W r o n g ; Good v.
Evil; t h e s t r e n g t h 0f f a m i l y j anil finally I believe in God.
W h a t do f Qy believe i n ? "
Messaoe on Yahoo Fulton Bank Stock Board of January 8, 2010

Stan J . Cararbone
A d v a n c e ^ M e d i a Group
[email protected]
www.amqqlobalentertainmentqroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amqroupOl
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworid.nina.com/profile/StanJCaterbone

http://www.youtube.com/advancedmediaqroup

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III)

Computations and Valuations of Net Worth

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Stan J. Caterbone and Advanced Media Group
INCOME AND REVENUE STREAMS
For Litigation Valuation Computations
January 10, 2010
bicome Source

1 Financial Management Group (FMG) Salary


2 FMG Commissions and Planning Fees
3 FMG Advisory Venture Capital Fees
4 FMG Mortgage Banking Fees
5 Beverly Hills California Mortgage Office
6 Gamiilion Studios Financing Project, Hollywood
7 Power Station Movie Fees
8 Power Station Back End Equity Fees
9 Harsco Portfolio Management Fee
10 Madiqan/Doubledav Publishing Management Fee
11 Totals
12
13
14
^15
Advanced Media Group
16 Radio Science Laboratories, Low Noise Amplifiers
17 R.R. Ctonnelly Geo Systems, Dr. Barry Glick
18 NIST
19 Amp, Inc.
20 Exxon, Radio Shack, Projects
21 Escomp Seardi Engine, Wayne and Skip
22 CD Diagnostics - Tom Brown
23 Hampton Inns,
24 AMG Legal Systems Prototype
25 All Other Optical Publishing Rt)jects
26 Downtown Theater at Hotel Brunswick
27 UPS/Fedex Copy & Reojrds Management Downtown
28 Excelsior Place
29 Sheryl Crow Produdions
30 Book. Movie, & Other Rights re U.S. Mind Control
Totals

Estimated
Yearly Income

$36,000.00
$50,000.00
Estimate Not Complete
$200,000.00
Estimate Not Complete
Estimate Not Complete
$200,000.00
Estimate Not Complete
$65,000.00
$25.000.(X)

$576,000.00

Realized
Income

Estimated
One Time Income

$36,000.00
$50,000.00

$200,000.00
$0.00
$86,000.00

Year
1987
1987
1987
1987
1987
1987
1987
1987
1987

$200,000.00

Estimate Not Complete


Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete
Estimate Not Complete

1989
1991
1991
1991
1991
1989
1989
1991
1991
1991
2007
1999
1999
2005
2005

IMtiOf^
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Stan J. Catertjone and Advanced Media Group
PROPERTY AND ASSETS
For Litigation Valuation Computations
January 10, 2010

Properties and Assets


Class 1 Assets
433 West Marion Street
2323 New Nanville Pike
2323 New Danville Pike Lot
554 Berkley Road
Useppa Island Property
Navajo Chieften Aircraft
Taquan Glenn Road Property
220 Stone Hill Road
Excelsior Place 10% of Equity

Date of Purchase
1982
1986
1986
1987
1987
1987
1987
1995

Present Value
Purchase Price
$40,000.00
$115,000.00
$90,000.00
$216,000.00
$0.00 Estimate Not Complete
$1,423,000.00
$315,000.00
$1,200,000.00
$135,000.00
$115,000.00
$275,000.00
$150,000.00
$30,000.00
$209,256.00
$115,000.00
Estimate Not Complete
$3,588,256.00
$840.000.00
$7,185,555.00

1985
1991
19B9

$20,000.00
$1,800,000.00
$10,000.00 Estimate Not Complete
$1,000.00 Estimate Not Complete
Estimate Not Complete
Total All Assets
Estimate Not Complete

Class 1 Assets Totals

Class 2 Assete
Financial Management Group, Ltd.
Advanced Media Group, Ltd.
Radio Science Laboratories, Ltd..
Class 2 Assets Totals

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IV)

Amended Accounts Receivables

in till
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Reorganization Plan Page 28 of 31


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V) Financial Statements

IMIIII
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Stan 3. Caterbone and Advanced Media Group
Case No. 0 5 - 2 3 0 5 9
Balance Sheet
January 1 , 2 0 1 0

Date of Statement
Cash
Wachovia Bank Checking
Social Security Debit Card
Inventory
Accounts Receivables
Total current assets

1-Jan-10
50.00
346.00
1,000.00
0.00
2,714,832.35
2,716,228.35

Property & Other Assets


Residence
Home Furnishings
1991 Dodge Pick Up Dakota
Advanced Media Group Stock
Advanced Media Group Equipment
Litigation Value

0.00
10,000.00
2,000.00
1,000,000.00
1,000.00
50,000,000.00

Net Property and Other Assets

51,013,000.00

Total Assets

53,729,228.35

Accounts payable
Citi Bank Credit Card
Bank of America
PayPal Buyer Credit
Discover
Bank of America
Chase/Bank One
AAA Financial Services
AAA Financial Services
Wells Fargo Rnancial Services
Wells Fargo Financial Services
Fulton Mortgage Services
Honda Financial Services
Beneficial
Comcast
Sprint
Capitol Blue Cross
Donegal Mutual Insurance
Verizon
FedEx
PP&L
Willow Run Veterinary Clinic

$12,111.93
$10,187.52
$1,809.80
$3,743.10

$623.69
$238.35

$18,827.63
$1,585.97
$3,466.00
$0.00
$0.00
$12,369.70
$7,000.00

$1,813.11
$806.76
$32.00
$74.00
$26.00
$41.38
$1,089.00
$74.00

IMtror^
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Stan J. Caterbone and Advanced Media Group
Case No. 05-23059
Balance Sheet
January 1 , 2010
Yarnell Security Systems
Yolanda Caterbone
Cingular Wireless
Sovereing Bank
PowerNet Global Communications
Wind stream
Lancaster County Probation
BMG Music Service
Microsoft
Pacer Service Center-U.S
West Publications
Salute Visa

$1,076.32
$25,000.00
$509.98
$404.85
$2.82
$9.55
$1,800.00
$120.33
$59.95
$41.92
$92.22
$906.49

MEDICAL BILLS
Lancaster Regional Medical Ctr
Conestoga Oral & Maxillofacial Asso(
Anestesia Associates of Lancaster, L
SE Lancaster Health Clinic
Abbeyville Family Practice of L6H
Lancaster General Hospital
Lancaster Radiological Associates
HealthPort
Lancaster Emergency Associates
TOTAL BALANCE

$459.98
$1,269.00
$1,034.00
$12.55
$149.00
$31,264.90
$568.00
$61.17
$795.00
$141,557.97

Charges are inflated; wrong; or


liability of another person or entity.
$53,211.16

Non-Contested

Total Liabilities

$141,557.97

Long Term Debt


Net Worth

$0.00
" ^

$53,587,670.38

IHUII
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Page 1 of 45

Date Filed: 11/27/2015


02/16/2007

Institutional Investors of America, Inc.


Financing.Investments & Advisors
iUlan D. Dannsli
Managing General Parhler

January 20, 1987


HONORARY CHAIRMAN

Gm.s. Moon

,)

CHAIRLLINoFrnEmARD
* a d w. I-h

Mr. Stan Caterbone


Financial Management Group
1775 Oreqon Pipe

DIRECTORS

~~~~~.~
~

k.
v*. P&n(
k t x hB=+.NYC

*. I..
oyimy.

C u U

Fo-.

ur. A

CAYIW I-. co.


hrnbnvdca

F~-u.s.
40

Re:

Mortgage Loans
Commercial and Residential

Dear Stan:

&
"
.
.
"
A

Chi,"""
An- W..'"I

C*.
rO u i r m a n norpied
C-nth
d Arrri.

In reference to the above captioned subject, enclosed


please find a synopsis of our lending programs. We
are very interested in business in your part of the
Country. I will also be in a position to do some
other business with you through the bank we just
purchased in 60-90 days.
Very truly yours,

Allan D. Dannatt
President
ADD/slh
Enclosure

Stan J. Caterbone Chapter 11

PageNo.
1971ofof355
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45

777 North Eldridge Parkway. Suite 730

Tuesday, January 26, 2016


Houston. Texas 77079

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Advanced Media Group
Page 2 of 45

Date Filed: 11/27/2015


02/16/2007

LOAN HIFTFOLJO
aJFEimRA!iE~vrms

ma
10 yrs.

Variable

5 yrs.
7 yrs.

Fixed
Fixed

&
e
225 bp wer
03F o r 300 bp
wer 1 yr T- ill

Pay R a t e

Fee

Amortization

Stating

1-2 pts.

30 Y e a r s

1-2 pts.
1 3/4 pts.

30 Y e a r s
30 Y e a r s

@ 9%

9.5%
9.65%

Fived Rates a l s o available a t 325 basis pints wer c

o T-Bill

Retail, O f f i c e , Industrial
10 yrs.

Variable

5-7 yrs.

Fixed
Fixed

1oyrs.

300-350 bp wer
1 yr. T-Bill o r
250 bp wer 03F

1-2 pts.

30 Y e a r s

8.75%
9%

Par-1 pt.
Par-1 pt.

30 Y e a r s
30 Y e a r s

Similar terns available f o r m i n i wx&mses,


homes and ACLF f a c i l i t i e s .
Forwarrl,
available.

q,
open-ended

hotels, mobile home parks, nursing

and covered construction


Maxmm loan to value of 809.

loans are also

W e are a r n m t l y seeking t o plrchase $500 million in


Sale Leasebacks
p r q e r t i e s nationwide leased to nationally listed public corporations w i t h good
credit ratings. Leases r r p ~ s tbe NNN with a minimJm of a 10 year tenn. Mininnnn
cash h
t
$5-$500111.

REMICS
Beginning in the 2nd W X t e r of 1987, I I A will be placing $100 million
a m n t h into real estate investment mortgage conduits. Innn&iate urdbg lcans
w i l l be made on all types of I n s t i t u t i o n a l quality property.

Fates quoted are test available and m y vary depending on location and quality
of product.

1
Stan J. Caterbone Chapter 11

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02/16/2007

CYWTER BUSINESS PlAN

FDR

JULY 1. 1986

Stan J. Caterbone Chapter 11

LWGBER. PA -TION

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Firrancia. Securities, Inc.

Date Filed: 11/27/2015


02/16/2007

............... .?he Broker Dealer

Em Advisory, ........................

..The Registered Investment Advisor

.......The Insumme Agency


In=. .............?he Acamting Finn

Financial Savims Insurance Agemy


EM; Acmmting Sezvices,

Financial tbrtqages Services, Inc. ........?he


Wealth MaMgement Semi-,

..

..........The

Financial PlarPling &msultants, Inc. ......We

Mortgage Bmkmqe Firm

Portfolio MaMger
Financial Pla-

&

Market Timer

Finn

mmTE FmG (In Hause)


Eager Real Estate

........................Redl Estate Services

O'my ti smith .............................Legal

Counsel for Business

&

Xeal Estate

.........Legal cavrsel for Estate Planning


W e l l Associates, Inc. .................. .Property 6 Casualty Servicrs
Pro Financial harp, Inc. .................Servicc5 for Profe55ional Athletes
Shirk, Reist, Wagenseller

&

Shirk

Please note that the W e f i n s are currently wrler nqotiations and have given
ve.rhl amnnitment for affiliation.

Stan J. Caterbone Chapter 11

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Advanced Media Group

MICHAEL P. O'DAY
EDWARD H. SMITH
Document:
003112140828
A. UNUPage 5 of 45
TIMOTHY

Case: 15-3400

243 NORTH DUKE STREET


LANUSTER, PA 17642
3934CQ1

Page: 39

Date Filed: 11/27/2015

02/16/2007

805 WEST MAIN STREET

August 22, 1986

MOUNT JOY. PA 17552


U3-9131

1
Mr. Stanley J . Caterbone
F i n a n c i a l Management Croup, L t d .
1755 Oregon Pike
Lancaster, PA 17601

-I

- ---

~ r o f e s s i o n a ls e r v i c e s r e : F i n a n c i a l Management Group. L t d . . and


s u b s i d i a r y c o r p o r a t i o n s , including: ~ o n s u l t a t i o n sand advice;
preparation and f i l i n g of A r t i c l e s of Incorporation f o r F i n a n c i a l
Management Group, L t d . and nine s u b s i d i a r y c o r p o r a t i o n s ; prepar a t i o n and placement of l e g a l n o t i c e s .
Costs: 1 ) F i l i n g f e e s t o Corporation Bureau
nine c o r p o r a t i o n s a t $75 each '
$675 .OQ
2) Legal Notices ( s e e a t t a c h e d i n v o i c e s )
402.05
Financial
3 ) Corporation o u t f i t
76.32
Management Group, L t d .
4 ) Additional s t o c k c e r t i f i c a t e s
Finan45.76
c i a l Management Group, L t d .
T o t a l Costs
Total f e e s and c o s t s
Less c o s t s r e t a i n e r
Balance Due.

Stan J. Caterbone Chapter 11

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02/16/2007

OWEN KUGEL
39 NORTH MARKET STREET
LANCASTER PA 17603
717-299-4371

2 M a r c h 1987

To:

S t a n l e y J. Caterbone
President
FMG A d v i s o r y , I n c .
E d e n P a r k II
1755 O r e g o n P i k e
Lancaster, - PA 17601
717-569-41 00

From :

Owen K u g e l

Subject:

M o r t g a g e Financing.

T h i s follows up o n o u r 17 F e b r u a r y meeting a b o u t 112ortgage


Financing f o r o u r upcoming development projects.

I h a v e selected a g r o u p o f 11 p r o j e c t s f o r w h i c h we h a v e completed
pre-development w o r k a n d w h i c h a r e r e a d y f o r d e b t placement;
a n d a t t a c h e d t h e c u r r e n t financial p r o j e c t i o n s o n each.
1 h a v e assumed a 65/35 D e b t l E q u i t y s p l i t , a 9.00% r a t e o f
interest, a 30 y e a r term, a n d a o n e p o i n t o r i g i n a t i o n fee. Note
t h a t t h e L o a n t v a l u e u s i n g a 9 " s a p R a t e averages 56.54%.
Note also t h a t 1 h a v e i n c l u d e d a 2.50% D e b t Placement Fee f o r
y o u r e f f o r t s in p l a c i n g t h i s debt; w h i c h w o u l d t o t a l $433,592
f o r t h e package.
L e t me k n o w if t h e r e i s i n t e r e s t and, if so, what a d d i t i o n a l
information y o u w i l l need.
Regards,

msrlattachments

Stan J. Caterbone Chapter 11

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Advanced Media Group

Date Filed: 11/27/2015


02/16/2007

FBI Pro.bes Kugel


Contracts with
N.Carolina Cities
Several Towns Unhappy with Delays;
Kugel Says He'll Fulfill Pacts
Lancasler developer

Owen Kugel, whose rev~taliration succea in domtom

lancaster helpcd him land


%imilsr confram in at least

seven states, is bein inverti.

Bald by, t k , ~ e d e r a fBureau


Of Investlgatron for downtown
revitalization pro'eets in
North Carolina. FBf omcia;
sav.
Robert Pence, in charge
OrNorth Carolina FBI opera.
tiotb. said (he investiflahen
centers on whether Kugel's
OK Assmiales firm based
here is involved in -mail
fraud, wire fraud or any other
typeofrraud.,,
lle added thal Ule use of
interstate racilities, as well as
the use of funds in interstate
eom,yeree,wouldbr studied.
I can confirm that we

are looking into the matter to


determine if an federal laws
have been vioited:. added.

Daniel Womiak, a senior FRI


agent a t Ute bureau's GWM.
boro. N.C.. omce today.
omcials in a t least flve
North Camlina cities sa
they.re dissatisilied w i d
Kugel's prfarmanee on the
contracis and each has asked
him to returnhis w,mfee.
Kugel this mornin& tm
the New Era that he has been
aware of the investigation for
several w e d s and that he is
y p e r a t i n g with authorities
100 percent, in the interest
of &etttg It wrapped up
quie ly
"We know" the outcome
"can on1 be successful from
our standipo' ~nt."he said.
Kuge s a d he did not

Stan J. Caterbone Chapter 11

know how the FBI got in.


volved in the situation. EX.
Plainin the contracts, he
said i f
d w t ( foum
thmugh on contract pmmis.
es. '.we give the money
back."
On the advice of dis attnr.
W .Alvin B. Lewis Jr.
Kugel wwld not discuss thd
status of the develo
Pro*
underway in

Carolina.

?%h'

Pence said the investiga.


t i ~ began
l
about M days ago.
But Kugel's former vice pres]dent. who arranged the
North Carolina contracts and

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02/16/2007

JOHN M. C I C A L A SR.
DEVELOPER

22nd & Boardwalk


North Wildwood N.J. 0 8 2 6 0
December 1 2 , 1 9 8 6
Dear P r o p r i e t o r :
Due t o y o u r e x c e l l e n t r e p u t a t i o n a s a s u c c e s s f u l member o f New
J e r s e y ' s S o u t h S h o r e b u s i n e s s c o m m u n i t y , we a r e d e l i g h t e d t o
i n v i t e you t o p a r t i c i p a t e i n a n e x c i t i n g new v e n t u r e : SEAPORT
VILLAGE.

SEAPORT V I L L A G E h a s b e e n d e s i g n e d a s a u n i q u e a n d p i c t u r e s q u e
shopping complex s i t u a t e d a t 22nd S t r e e t i n North Wildwood.
The
complex i s now under c o n s t r u c t i o n on a r e b u i l t , widened p i e r
t h a t w i l l e x t e n d 500 f e e t o u t from t h e boardwalk t o w a d s t h e
ocean. The development, s c h e d u l e d f o r c o m p l e t i o n i n t i m e f o r t h e
s t a r t o f t h e S p r i n g , 1987 season, w i l l f e a t u r e a t o t a l of f o r t y
s p e c i a l t y and f o o d s h o p s . T h e s e s p a c e s a r e now a v a i l a b l e f o r
a n n u a l r e n t a l , a t p r e - c o n s t r u c t i o n p r i c e s r a n g i n g f r o m $30 t o $ 3 6
p e r s q u a r e f o o t . Types of b u s i n e s s e s i n c l u d e d w i l l b e c a r e f u l l y
chosen t o i n s u r e s u c c e s s f o r a l l .

A p e r f o r m a n c e a r e a w i l l be b u i l t a t t h e end o f t h e p i e r . T h i s
a r e a , t o i n c l u d e l i v e t e l e v i s i o n and r a d i o f a c i l i t i e s , w i l l s e r v e
a s t h e s i t e f o r ' p o p u l a r e n t e r t a i n m e n t and o t h e r e v e n t s d e s i g n e d
t o a t t r a c t l a r g e numbers of p e o p l e t h r o u g h o u t t h e s e a s o n as well
a s continued media coverage. Restrooms and o t h e r p u b l i c
a m e n i t i e s w i l l a l s o be included t o help i n c r e a s e f o o t t r a f f i c . A
large
s t a i r w a y w i l l permit beach access.
An e x c i t i n g
a d v e r t i s i n g and p r o m o t i o n campaign i s p l a n n e d t o c a l l a t t e n t i o n
t o SEAPORT VILLAGE.

According t o r e c e n t demographic s t u d i e s , t h e number o f a f f l u e n t


s i n g l e s , c o u p l e s and f a m i l i e s v i s i t i n g North Wildwood e a c h summer
i s r a p i d l y i n c r e a s i n g - along w i t h t h e i r p e r c a p i t a spending.
The o t h e r p i e r s i n t h e a r e a a r e a l l Amusement P i e r s . T h u s ,
S e a p o r t V i l l a g e i s a f i r s t of i t s k i n d - and a n a t u r a l s i t e f o r
t h e r e l o c a t i o n o r e x p a n s i o n of y o u r b u s i n e s s .
T h u s f a r we h a v e a p p r o a c h e d B e n e t t o n , S w a t c h , A t h l e t e ' s F o o t ,
Gimmee J i m m i e s Cookies and Banana R e p u b l i c , a s w e l l a s a s e l e c t
g r o u p of l o c a l b u s i n e s s e s s u c h a s y o u r s t h a t would b e b e s t s u i t e d
t o o u r c o n c e p t and would have t h e g r e a t e s t c h a n c e o f s u c c e s s .
S i n c e r e n t a l s p a c e i s l i m i t e d , we w i l l a c c e p t r e s e r v a t i o n s on a
f i r s t - c o m e , f i r s t - s e r v e d b a s i s . An a r c h i t e c t u r a l r e n d e r i n g of
S e a p o r t V i l l a g e i s e n c l o s e d f o r your f u r t h e r i n f o r m a t i o n .

Our r e p r e s e n t a t i v e , E l l e n Libman, w i l l b e i n y o u r a r e a i n t h e
n e x t two weeks.
S h e w i l l c a l l on y o u t o p r o v i d e you w i t h
a d d i t i o n a l i n f o r m a t i o n . Of c o u r s e p l e a s e f e e l f r e e t o c o n t a c t me
a t anytime.

Stan J. Caterbone Chapter 11

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02/16/2007

February 1 3 , 1987

Stanley 3. Caterbone
Financial Management Group
1 7 5 5 Oregon Pike
Lancaster, PA 17601
Re:

Carter Manor Associates

Dear Stan:
Enclosed is a Loan Request for Carter Manor Associates for the
Refinancing of two particular properties that it currently owns
and we would appreciate you consideration of this matter. Please
note that the terms in the Loan Request are negotiable.
If you have any questions, please do not hesitate to contact me.
Sincerely,

Enclosure

Stan J. Caterbone Chapter 11


)

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REAL ESTATE Page
DEVELOPMENT
I45
BUSINESS ACOUISITIONS
1681 Crown Avenue 1 PO Box 8200 i Lancasler PA 17604 11717) 395-7100

,>.

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02/16/2007

COLUbBIA ASSET MANAGEMENT CORP.


IXVESTbENT BANKERS

TWINING OFFICE CENTER


715 TWINING ROAD SUITE 116
DRESHER. PA 19025

Scott Rabertson
Financial Management Group
1755 Oregon P i k e
Lancaster , P A 17601
February 1 0 1987

Dear Scott :
Enclosed i s a vrrite up o n the prcxperty w e discussed.
The owner desires to refinance for a minimum of
$2,500,000 o n a non-recourse assumable basis.
It i s
understood that the enclosure is ta b e forwarded to a
private investor in Texas and is not to b e shown to
anyone else.

I f this is handled to our satisfaction, I would b e


pleased to submit additional properties for your clients
cc-nsideratinn.

Leonard M. Shendell

Stan J. Caterbone Chapter 11

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02/16/2007

Qxative Finance Campany


P.O. Box 4412
Lancaster. PA 17604

Hi* Ascciates, LTD.


Tom Kyle

1861 William Pem Way


Iaraster, PA 17601
February 3, 1987
Dear Tom:

,l

As per your recent mane conversation w i t h Bob brig, I would like to give
you scane information reganiing cur lenling ability. I have been selected to
represent a group of Institutiondl Investors that are htemsb3 in projects in
the Eastern part of the acRmtry. We are able to finance projects ranging in
s i z e of $3 t o $100 million.
hrojeds include aparbe&s,
retail, office,
hdwtrial,
health care f a c i l i t i e s , mabile hare parks, hotels and mini
warehouses.
Underwriting can be very f a s t and can often times be approved in
14
days froan time of application.
follow^ is list of underwriting
r q h x m m t s ; pro forma, rent r o l l , financial statemnts, resume of borrower,
and s c a n e under
~
certain c a d i t i o n s an MAI Wraisal. For new a m s t n ~ c t i o n
a sales agreement and cost brealcdowns are r q u i r d .
a copy of our portfolio. I hope that w e on do h i n e s s
together and provide ycmr financing for your next: project, o r possibly prwide
a r e f h n c i q package f o r ycur existing portfolio.
I appreciate the
opportunity to work w i t h you.
~slclosed is

W e may be reached a t the following nlrmber; (717) 569-5555

Stan J. Caterbone Chapter 11

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Stan J. Caterbone Chapter 11

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Stan J. Caterbone Chapter 11

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02/16/2007

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02/16/2007

K E N N E PROPERTY
~Y
CORPORAT~ON
A Subsidiaw of Kennedy Health Cars Foundation

May 6, 1987

Mr. Stan Caterbone


1755 Oregon Pike
Lancaster, Pennsylvania 17601
Dear Stan:
This correspondence is to address our previous conversations
regarding the refinancing of some commercial real estate that I
am currently managing for Kennedy Property Corporation. At that
time, you had requested information on each of the buildings so
as to determine the feasability of this endeavor.
Of the four properties listed, three are owned by Kennedy
Property Corporation and the fourth is owned by Professional
Medical Management, Inc. Both companies are subsidiaries of the
Kennedy Health Care Foundation.
Enclosed you will find a description on each property. This is
accompanied by the current lease schedule for each property and
an income statement for Kennedy Property Corporation.
If after reviewing this package you believe that favorable fixed
terms can be provided, please contact me at your earliest
convenience.
Sincerely,

Michael Lawson
Property Manager
ML/~
Enclosures

Stan J. Caterbone Chapter


111015 ' 100 Egg Harbor
Page
210
355
January
26, 2016
P.O.Box
Road
' ofTurnersviile.
N.J. (W012 ' Tuesday,
604589.3300
Ext. 421
Page
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02/16/2007

MICHAEL LAWSON
Property Manager
P.O. rn 101s
im E Q nubor
~
M.
1wmn.Il..
WJ mot1

Stan J. Caterbone Chapter 11

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02/16/2007

Management Group, LTD

,,".K,.,

WAMCMC".

G..O",

,,o

STANLEY J. CATERBONE
EXECUTIVE VICE PRESIDENT

554 Berliley Road

Stone Hartwr, NJ
( W )%7-5184

08247

J u l y 24, 1987

J i m Bly
Sourcz C a p i t a l
6725 (Xlrran Street
W e a n , VA
22101

. .

Dear J i m :
Enclosed is t h e p a c k * f o r t h e Real E s t a t e Deal as per o u r
c o n v e r s a t i o n . Plg i v e me your response as to a n i n d i c a t i o n of i n t e r e s t as
= a n as p o s s i b l e so t h a t I may c o n t a c t someone else if you are n o t i n t e r e s t e d .
I a p p r e c i a t e your t i m e and c o n s i d e r a t i o n .

Zk

ley J. catertxre

Stan J. Caterbone Chapter 11

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Securltl~sOffcred through Planner's Securnler Group. Ine.


A Reglitered BrokcrlDealer
Member StPC
Member NASO

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I.

Scope of B u s i n e s s

Servioes and f u n c t i o n s of SourWilliams.


111. S t r u c t u r e of S y n d i c a t i o n
11.

IV.

V.

Date Filed: 11/27/2015


02/16/2007

Costs

C a p i t a l , I n v e s t o r / I n v e s t o r s , and Bennet

of S y n d i c a t i o n - Bennett W i l l i m F i n a n c i a l Center

Financial Projections

Stan J. Caterbone Chapter 11

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sWswpE..a...~~-~.~.s2

.
.

is a

follwing

The
,

Date Filed: 11/27/2015


02/16/2007

syndication

and

Im.

The

of

to

Bennett

Williams,

Im.

to provide

the

marketing of the 2.6 million o f f i e building to b e constructed

i n downtown York,
function

pr-1

This prqms-a1 is an attecrpt to describe t h e role and

PA.

Swrce Capital

along w i t h the relationships of Bennett Williams,

and the Investor/I-tors.

of the p r o j e c t is to r a i r e the ~

plm

million

(excluding

it

entirety

until

will

be

funded

will

provide

rcapital /approximately 2.6

syndication f e e s ) and to mange the partnership t h r w g h its


dissolved.

is

As per previous conversations, t h e building

m n p l e t e l y from partnership proceeds w i t h t using debt, which

a steady stream of inccme, projected to be between 12%

the p o s s i b i l i t y of refinancing t h e p r o j e c t around t h e =nth

15%w i t h

year i n order to

return the o r i g i m l capital back to the investors.

R1G w i l l

which

also consider developing a F i ~ r C i a S


l e w i c e m n t e r , similar t o that

e x i s t s i n Lamaster.

responsible

for

the

1-

While Bennett Williams w i l l be the major t e n a n t and

up,

f%2 w i l l

consider also a i d i n g i n t h a t pr-

through w n s i o n of t h e i r business to York.

Stan J. Caterbone Chapter 11

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Date Filed: 11/27/2015


02/16/2007

I.: DELI% E . B F T T . ..WIUI.W.-zTK GU'E~...~~~E~..IG..~?.,.)


T k Gewral Partner (GP) will be responsible for t k following:

a).

Development

The G.P.

will be r-nsible

for all dsvelcpwnt

involved in t k project.

b).

Construction - The G.P.

will be r q n s i b l e for all construction

pbses associated with the project.

c).

Lait-g - All leasing responsibilities will be of the G.P.


G.P.

The

will have the task of obtaining l a occupancy of the building

i n a reasomble and timely fashion. The G.P.

will also be

responsible for determining the fair market value of the =paand for attracting attractive t e ~ n t s
with favorable leasing
agreements to maintain a favorable and healthy cash flow.

d).

Management

- The G.P.

will be m n s i b l e for the managsent of

both tenants and the building in order to obtain maximum

income and future appreciation given favorable eoomnic oonditions.

Stan J. Caterbone Chapter 11

Page
215
355
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No.
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45

Tuesday, January 26, 2016

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Page: 54
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Page 20 of 45

Date Filed: 11/27/2015


02/16/2007

LL W L I C N E ~.%...%!?IT.K
MG, Ltd. w i l l be r e q x n s l b l e f o r the follcwing services and factors:

a).

The Syndicator w i l l be r e n s i b l e f o r a l l legal


and a-nting

services rezdsd to register the partnership with

the a p p r w r i a t e regulatory authorities i n order to solicit


investors.

b).

Prospectus - The Syndicator w i l l be reqmnsible f o r the development

to be used to solicit investors.

and prmhction of the pr-tus

c).

Marketing

- The Syndicator

w i l l be responsible f o r the marketing

and s o l i c i t a t i o n of investors i n order to r a i s e the necessary


capital to f i m n c e the project.

d).

Distribution of ~ r o c e e d s- The Syndicator w i l l be responsible f o r


a-nting

and reporting functions necesrary to provide investors

w i t h the progress and performance of the Partnership.

The

Syndicator w i l l be r w n s i b l e f o r the reporting regulations of the


Interm1 Revewe Service f o r

both Investors and the G.P.

The

Syndicator w i l l a l m be responsible f o r U7e distribution of p

both &ring operation and upon sale w r e f i ~ n c i n gof the project.

Stan J. Caterbone Chapter 11

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216
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45

Tuesday, January 26, 2016

Case:
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Page 21 of 45

Partnership
Private

is a c k s c r ~ p t i o nof the s t r u c t u r e of t k p a r t n e r s h i p .

follcwing

The

will

be

Pla-nt

Date Filed: 11/27/2015


02/16/2007

T k

r e g i s t e r e d by t k Securities and Exckr@ Carmisrion a s a

-lation

D, Rule 144 Offering.

T h i s w i l l l i m i t t h e rxlrrber

of u m c c r e d i t e d i n v e s t o r s t o 35.

Bennet Williams Inc. - General P a r t n e r

. .

Eqity:

20% of P a r t n e r s h i p sale d i s t r i b u t i o n s

Incane:

15%of Net c a s h f l o w d i s t r i b u t i o n s

Souroe C a p i w - Marketing F e e s
Eqity:

5% of P a r t n e r s h i p =le proceeds.

Incane:

@ of N e t c a s h flow d i s t r i b u t i o n s

Eqlity:

75%

I m :

85%

Load :

ES% of c a s h goes i n t o actual development

Stan J. Caterbone Chapter 11

of Net P r c c e d s

Page
217
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45

Tuesday, January 26, 2016

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Page 22 of 45

Date Filed: 11/27/2015


02/16/2007

(gipl-hlwill receive ~ r o x i m t e l y 8% of the capital raie&

in

the necessary services associated with the project.

This

order to perform

imludes all legal, accrxlnting and marketing fees needed.

Bennett-Williams will receive a 3%G.P. developnent fee for pltting the project
together (building design, construction %pervision

The
.

Broker/Dealer

(if

...etc.).

needed) will receive a 1% syndication fee for

registration

partnership.

and

preparation of financial disclosure

This means approximately a8% of

j' iltilding

the capital raised will go into the actual

and grand. This ircludes all 1-1,

of the partmrship.

documents for the

aoaunting, printing, marketing,

With this ratio, the program will be among the most

marketable anywhere in the country.

Stan J. Caterbone Chapter 11

Page
218
355
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No.
22ofof
45

Tuesday, January 26, 2016

Case:
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Page: 57
Advanced Media Group
Page 23 of 45

FiMnCial
Center
has

LTD. w i l l a t t e c r p t to &welop a F i M I X i a l Service

M a ~ m n t . Grcup,

to

similar

Date Filed: 11/27/2015


02/16/2007

the L a n c a s t e r Office i n t h e b u i l d i n g b e i n g vndicated.

MG

d e v e l q x d a F u l l Service F i m w i a l C e n t e r t h a t p r o v i d e s a l l of the r e l a t i v e

services

re=essary to

and institutions.

mamge t h e f i ~ n c i a affairs
l
of i n d i v i d a l s , b u s i n e s s e s

The Center w i l l i n c l u d e the f o l l o w i n g services:

1. F i r e n c i a 1 Planning

Finamial
the

2.

Investment and P o r t f o l i o Management

3.

k c c u n t i n g and Tax P r e p a r a t i o n

4.

Real E s t a t e Services

5.

Legal Servioes

6.

I ~ r a r c Services
e

7.

Managewnt

Lamaster

role i n

the

that

been

pt

w i l l s t r u c t u r e the C e n t e r similar to that of

LTD

with

the

e x c e p t i o n that Bennett Williams w i l l have a

f o r m a t i o n and the o p e r a t i o n s o f the Center.

and

structured

~ and nMortgage
t
Banking

Group,

location

recruiting
Pave

managerent
dweloped

of

and

the

-ration

used

in

Ft% w i l l p r o v i d e the

and w i l l u s e t h e w r r e n t s y s m

Lancaster.

The

ownership w i l l be

m n g MG, B e n n e t t W i l l i a m , and the other Major P l a y e r s who wish to

involved.

Enclw_sd is a n o r i g i ~ Busil

P l a n t h a t o u t l i n e s tk c o n c e p t

Page
219
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Page
No.
23ofof
45

Tuesday, January 26, 2016

i n more detail.

Stan J. Caterbone Chapter 11

Case: 15-3400

Document: 003112140828
Page: 58
Page 24 of 45

Advanced Media Group

following

The

of

Firms have exprezsed very s t r o n g and f a v o r a b l e i n d i c a t i o n s

i n t e r e s t to s i g n lorg term 1-

this

will

the

be

Date Filed: 11/27/2015


02/16/2007

premier

office

agreements f o r -ace.
q ~ c elocated

P l e a s e be aware t h a t

i n Downtown York, and mt

irrportantly w i l l be the Only O f f i c e S>acz with on site parking.


will

be

rented

for

$30.00

Parking spa-

p e r month, and t h i s is t h e f a i r market v a l u e , n o t

c o n s i d e r i n 3 the convienewe.

Bennet

Williams

agreemenb.

and

will

occupy

25%

of

the

space

a t market v a l u e lease

Bennet W i l l i a m s is t h e l a r g s t Real E s t a t e Firm i n the York area,

is one of the L a r i Q t i n C e n t r a l Pennsylvania.

Dave %had is the P r e s i d e n t

and can be reached a t (717) 843-5551.

Cum-ican Erpress
York Bank

7 . W Sq. F t .

10,000

"

FIcrxrunting Firm

5,000

"

wraisal Firm

1,1333

"

Bennet ~ i l l i a m s

8,000

Total

Stan J. Caterbone Chapter 11

3 1 , 5 0 Square F e e t

'

Page
220
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Tuesday, January 26, 2016

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Advanced Media Group
Page 25 of 45

Date Filed: 11/27/2015


02/16/2007

WSH FLOW

WRD COSTS
WISITImi
CCNSTRUCTIa'l
4% CONTINGENCY FEE

$1.960,00CI.O(i

31,000 32. FT. @ $10.00


9,033 SQ. FT. @ $6.00
108 PARKIW SPACES e m/m.

$310,000

TClrPL INCOME

$402,800

$54,003
$38,800

SOFT COSTS
DES1Q.I
FuWISHINGlj
F I W I f f i FEES

TOTAL COSTS

Stan J. Caterbone Chapter 11

$ 1 ~ , 0 ~ k l . ~

$m,oi3o.ix

C ; W ON CAW RETURN

$ZB,KKl.Oi,

$Z,~~R,GXJ.IX)

Page
221
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Page
No.
25ofof
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Tuesday, January 26, 2016

15

Case:
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Page: 60
Advanced Media Group
Page 26 of 45

Stan J. Caterbone Chapter 11

Page
222
355
Page
No.
26ofof
45

Date Filed: 11/27/2015


02/16/2007

Tuesday, January 26, 2016

Case:
15-3400 Document: 003112140828
Page: 61
Advanced Media Group
Page 27 of 45

Stan J. Caterbone Chapter 11

Page
223
355
Page
No.
27ofof
45

Date Filed: 11/27/2015


02/16/2007

Tuesday, January 26, 2016

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Page: 62
Advanced Media Group
Page 28 of 45
h 8 ADqebSr

Date Filed: 11/27/2015


02/16/2007

QL 90067

FEB 1

::mA~.Culcrr'b

SEE REVERSE
SIDE FOR
INSTRUCTIONS

s
t&--.
......-..

~-

FICTITIOUS BUSINESS NAME STATEMENT


THE FOLLOWING PERSONIS) IS (ARE) DOING BUSINESS AS:
lFictitious B&ess

1.

AUDIO SERVlcBs/mBarr sowD aooIOs

,- Street Address Cltb & State of P r ~ n c ~ pplace


al
of B u s ~ n e r s ~Cal~forp~a
n
2.

-1

Full name a e g l s t r a n t

ZIPCode

1137 north k c a d d e n Place, Lam Angrlem, CA

...

--

Name(~)

90038

( ~corporation
f
show state of ~ncorporat~onl

I
"side-

"ress

City

State

Zip Code

madden Place, La6 Angelas, CA 90038


&
Full name of Registrant
(if corporation - show state of incorporation)

1137

lQorth

Res~denceAddress

1 (1

City

State

--

bullname of Registrant

ZiPGde

(if corpaatlon . show state of inmporatio")

I
i

Residence Address

~.
...

City

State
-

Full name of Registrant

- .. - . .
Stale

.
5.

- --

__

17p Codr

L
?-

~ .. . . ~ ~
.~
.
s
I
t
a n 80deradu.l I 1 a wneral wrln.#mlo I I larn8tad mrln.nnar,
t
ta~,Is?...a1...8ala.l
*.I.=I
..tt-rr a
n.,, a oar#,>e-rn~u
(
ro,on,.8qa,n I 8
ba,.enn.
t r ~ a s t icb&*.
~ . . . .
*

....

1 3 d . u
,

onr

Typed or Printed--

---

...

...

4
'

,,
?*

a
.
~
.

--

--

. __-..-

rn

..

.efile - Statement expire


December 31.<*

File No.

....-

.h

C&~I?*;(

::

on &re indiuted by file sump a b

---Cwnty

IHEREBY CERTIFY THAT THIS COPY IS A CORRECT COPY


OF THE ORIGINAI.STATEMENTOL1 FILE I N M Y OFFICE.
!

7.

2 4

a'%>

ry.
1

THE L m ANGELES
DAILY Y)URI\IAL
Stan J. Caterbone
Chapter
c.uus+n(11
,am
210 South & r w S t r r t . P 0 110. Yo16
L a A W k . Wltc.",. Oa)+l
T*.pho12131 6252141

,=

'
I
I

:'.:#.
. . . . . . .-.

Signature & Title

-", I
-L.

Corporation Name

7-

6. New Fict~tiousBusineu
Name Statement

c,N~v(

I f Registrant a corporation r@ below:

-(

Signed

,F

~~~

1 This statement was filed with the County Clerk of


- .
. . . . . .
-

111 corporatlon show state of lncorporat~onl

Zip Code

c-

Page
224
355
Page
No.
28ofof
45

......... ,_.__-....

Y)URNALTuesday,
OF COMMERCE
- REVIEW
January
26, 2016

**-.I.

210 h
- -

~~

L.U(.II*I."

>el7

m s . .strrl.
~ r.o eo. wx
~
Wlt--"l.
. ~
sM11
.

.-

.*klI-

'
r

to File U.S. mdivldual lncqms ,Tak ~et$ih',


..

r r T-R

. .
.
I _
Case:
15-3400
Document: 003112140828
Page: 63
Date Filed: 11/27/2015
Group
29wd
of 45
02/16/2007
YourAdvanced
riot nam.Media
and l n
a t ~ a(if
l loon1 mum. d s a Or* spouse'.Page
turn
InlUaO
b s l nome

Lnr. ,0,

I . . . . '

. .

GOM ~ u o n l
.
.
....

Wd

f
Ressnt homo address (Number and ~l,?naWik
' ~ . n m . b aw ,v d w

r:

city. t a m or port ouca. stat*. snd z ~ ~ c o d .


C UCVEri C l T y
Cr(~

///3'/
r

MARY

'

' '

cdcerc/cnwd

:, , +

'

<.

3003 y

/g.

':

.. . : .
. . ~

this lorm with the lntsrnal Rsvenue Service Cnter.wnere you m r t flle y o u r i w n m tir return ;nd;p'.y
t h mOuat
ShoWlUn
.
,
,
line 6 be:@w.Thls is not an eltenslon of Unw lor payment of tar. Tke k w mqalra that'e pen& beth.f#ed f or late. w$m#IIt
bt
p.
'?.:.
.,.
tar and idle lil~npunless you show relaonible cause for not payon. the tax when due (see 4nstructlonO);,
r1.m .swt to 11Ia a 1981 plt 114 ralurn (form 709) due p h d n a t)r clow of Uw W h dwda awmc of 19ll.chclchnba8 0.

HQbl: file

Ol
. yder I&.&
. + ' : ;.. -

1. mausst
an autornatoc 2.rnontlj eltensoon 01 tln~e'untllJune.15. 1SZ. In whlch
to file F o m 1040 for tho-lender
.
..
,.
w hwal year return until .................... 1................-.- L
.
.
:
.
.
19--.
fw th. .tar. year beginning
A
. . .. . .
and ending ............................................... 19........)<

. -.-....-...-...--.

,.

,,&

'
'

:~.1981,.. .

. . . . . I . .

.,.

.lo I
;l Total income tar liability for 1981 (You n). e s t i ~ t thla
e .ino~nL).
I, Mot.: YOU must enter an amount on line
If p. . u do not *Ip.Ct to 0"
enter zero (0).
.
B Federal Income tax withheld
,

LI.

........... .......

95 1.981estimated tax payrnwta (include 1980 ov&&nt


1: Other payments (sea instruction E)
)I,

Totai (add l i n n 2.3, and 4)

,bawd u icredit).

. .

..............

..........................

G lncome tax balance due (subtract line 5 fmrn line

1). Pay In full with mlr form

..:.....

,r Total gift tax you expect to owe for 1981 (w inshuctian E).Notc This i s the amount you oxput to gw
r for the giit tax return due following the cJow ot me tounh uI*nd.r q u e r h r d 1981
l,liny--'i

. . . . . . . . . . . . . .

m . .~

(Aimtruciion fot

., . . . . . . . . . . . ... . .
-.

I 1

.........

u b . w c M i w b r t h i l n m a m d ~ m ~ d ~ r l t + ? a ~ ~ ~ ~ * . m & ~ h & i r ~
. .~ . ~. . ~ ' * ~ ~ * ~ .

.ignature and Verification


I If R e p a r d by Teapayer.-Undu
puraltles ofperluy, Ideclen that Ihave bumlnd'thla form, lndudinp eccMnpnylng schadula
.!a
StdtcllIents, and to the best of my knowledge and bllef. it Is truo, corn(..ndcomplete.

.
IfPrepared by Someone Other Than ~w:&Und.rp.d.y,a of pwfuy, I
I h& &mi&
rrwnpanying schedules and statemants and to Ui. best of my I&i n d bollof. .kbtiuq- ai+,. .dd
. .
buthorized to prepre this form; and that Iam: . '

,.

hymt

pwd cause. MY relationship toihetar&y6rand th.'iwii+v@;tli,


...
.. ...

Stan J. Caterbone Chapter 11

..

.; . .

&

..

t&yuannot
. . .

Page
225
355
Page
No.
29ofof
45

*\,,

."..'. .

*,'&id&
.....

~e ' . .!. ...:.

in,
~.,

-- .

e p l a t b - t h q l'iin

. .
mernbor In &modstandlng of the bar of th.
court .@ (spdfy luWls(l4n)
. :
. ? .
ceitified pubnic accountant qualifiql to p m c t b In (*panjurId)_
1 A panon anmlled to practlce beforethe Internal Revenue S.rvlu.
nl h authorized agent holding' a power of .ttorn+. (YOUn w d not u n d in the power of ~ m o unhss
y
requv.)
1 A penon in close personal br bu.slnau rektion~hlptq Uu bxpem annot ilgn.pilstormkcaliq of l l t n . 4 ' i ) b l r ~
.%.

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<;

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:.!

"

. . . . . . . . .. . ..

Tuesday, January 26, 2016

Case:
15-3400 Document: 003112140828
Page: 64
Advanced Media Group
Page 30 of 45

Stan J. Caterbone Chapter 11

Page
226
355
Page
No.
30ofof
45

Date Filed: 11/27/2015


02/16/2007

Tuesday, January 26, 2016

Case:
15-3400 Document: 003112140828
Page: 65
Advanced Media Group
Page 31 of 45

BROUT&

Date Filed: 11/27/2015


02/16/2007

COMPANY

CERTICIED PUBLIC A C C O U N T A N T S
v E r 10'1

. LOS A N G Z L E S

W O R m l S V O l N . N d.

1900 A V E N U E O F T H E S T A R S

LOF. A N G E L E S .
213

Dear

7-i 3

CAL~FORN~A
90087
553-1941

'

E n c l o s e d i s ttie o r i g i n a l and o n e c o p y o f t h e County o f L o s A n g e l e s B u s i n e s s


S t a t e m e n t a s o f Marcti 1. 1982.
The o r i g i n a l s h o u l d b e s i g n e d b y you a n d p o s t m a r k e d o n or b e f o r e A p r i l 30. 1982.
Mail to:
County o f Los A n g e l e s
Office of t h e Assessor

dPFF.) 4

@A

9 /YO(

The d u p l i c a t e c o p y i s f o r y o u r f i l e .
Very t r u l y y o u r s ,

BROUT h COMPANY

Enclosures

Stan J. Caterbone Chapter 11

Page
227
355
Page
No.
31ofof
45

Tuesday, January 26, 2016

From the &sk of

...

Case:
15-3400 Document: 003112140828
Page: 66
Advanced Media Group
Page 32 of 45

Date Filed: 11/27/2015


02/16/2007

ROBERT 0. ACKERMAN

Stan J. Caterbone Chapter 11

519 CENTRAL AVE.

Page
228
355
Page
No.
32ofof
45

HIGHLAND PARK, IL 60035

(312)433-4500

Tuesday, January 26, 2016

Case:
15-3400 Document: 003112140828
Page: 67
Advanced Media Group
Page 33 of 45

Date Filed: 11/27/2015


02/16/2007

PLANNER'S SECURITIES
CONSULTING SERVICES

Planner's Securities Consulting Services offers the independence


and expertise to help the client:

1. Develop an INVESTMENT PLAN

2. Determine the criteria for selection of an INVESTMENT


MANAGER

3. Evaluate investment managers, presenting only


those who can meet investment plan's needs
4. Monitor these investment managers' performances
within customer set parameters

5. Monitor monthly detail reports


Our structured approach saves a plan's sponsor, trustees or
individuals time and effort and allows them to retain control over
asset management.

Stan J. Caterbone Chapter 11

Page
229
355
Page
No.
33ofof
45

Tuesday, January 26, 2016

Case: 15-3400

Advanced Media Group

Document: 003112140828
Page: 68
Page 34 of 45

Date Filed: 11/27/2015


02/16/2007

PTY.

~ ~ t ~ t f e e i s b a t e d o n t h e m a r k e t ~ ~ l o l u e

d the. account, hrdudlng tush. as shown on fhe lnltlal and


gUatW oppratsd a cutodlan bank octhrity 4
..Th;e maw
auement tee k d e t e c m i n e d - m tto the f o l m scheduk
.

S I . ~ ~ ~ X K K ) C ~ M O ~ ~ ~ ~ V O ~ ~

.85%onnext

..

-75%on next
.65% on nad

-6% on next

s i m m o f ~orketva~ue' .
'

~1.OObXXKJ
0f;MarketWil~e

s l ~ I . l O O C 4MarketValue

R X B ) I ~ E m R T m l m
(~axabieor Non TcKable)

5 of 1%of Maket Value

Fees are prepoyable quatecly. @ d e m g emay be &ed


allocated per ciient )nmuctlons

Stan J. Caterbone Chapter 11

Page
230
355
Page
No.
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45

and

Tuesday, January 26, 2016

INVESTMENT
MANAGER
Case:
15-3400 Document:
003112140828
Page: 69
Date Filed: 11/27/2015
Advanced Media Group
Page 35 of 45
02/16/2007

Dataform

Name

.(

Address

614 LANDIS AVENUE

i city/~tate/Zip

Ownership

VINELAND.

NEW JERSEY

e Feestructure

08360

800-257-7013
DONALD SULAM
SUZANNE GREENBERG

.JUNE 1 9 7 3

Date Founded

PARTNERSHIP

1 Affiliation
NONE
Minimum
Tax-Exempt
fi
c Account Size:
S100.000

Minimum
Fee:

Taxable

Tax-Exempt
$1.500

Taxable

SEE ATTACHED FEE SCHEDULE

z Manage:

Equity
Only

Capital Markets Used: Stock lxl


I
Real Estate
Equity
Asset Mix in All
jEqJy Accounts as of

Telephone
Contact
Name
Contact
Name

CUMBERLAND ADVISORS, PTY.

Mutual Funds Managed:

Balanced
Acwunts
Corporate
Bond

Fixed
Cash
Income [ia Management (7 Other: MUNICIPAL BONDS
Government
International
Bond
(7 Cash IXI
Securities
(7

Futures

Options

Max Equity

CD' S

Other:

100 %

Min. Equity

CUMBERLAND GROWTH FUND

- In-HouseCo-Mingled Funds: .

Special Services (check one):

Active

Passive

Minimum Account
Size (specify):

NIA

Bond lmmunization/Bond Dedication


Municipal Bonds
Socially Sensitive (if asked, will not invest in "sin" stocks)
Convertible Preferreds
-

Convertible Bonds
Government Bonds
INVESTMENT STYLE:
attach statement of investment philosophy and style for each type of management.
f
send a copy o f your current marketing piece, contract(s), ADV andfiscal report.
@ 1886 Richard SchlMMh h Awcdates. Ud.The lnlonnatbn providedhaiein la oblalned lrom the investment manager named herein
.ndPublkly lvailaMe .wroes and la bePsMd to be rdiaMe, bul ma mpwmbtlon or wananly is made w to ks accuracy or axnpleteness.

Stan J. Caterbone Chapter 11

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Tuesday, January 26, 2016

Case:
15-3400
Advanced Media Group

Name

1 1 u v c 3I MEN I MANAtikH
Document: 003112140828
Page: 70
Date Filed: 11/27/2015
Page 36 of 45
02/16/2007

Dataform

Swanson C a p i t a l Management

Telephone
Contact
Address
4 6 0 0 Fashion Square Blvd. ~ t 109
e
& 111 Name
Contact
Cit~/State/Zi~ Saginaw, M I 48608
Name
Ownership

Incorporated

Affiliation
Minimum
Account Size:

None

Fee Structure

1%F~~~~

Taxable
$100.000

Stephen Swanson

Date Founded 1973

Tax-Exempt
$100,000

(517) 790-1291

Minimum
Fee:

Tax-Exempt
$1,000

Taxable
$1,000

In-HouseCo-Mingled Funds: 0

.
Special Services (check one):

Active

El

Municipal Bonds

El

a
rn
rn

Convertible Bonds
Government Bonds

Minimum Account
Size (specify):

rn

Convertible Preferreds

NIA

Bond Immunization/Bond Dedication

Socially Sensitive (if asked, will not invest in "sin" stodts)

Passive

INVESTMENT STYLE:
Please a m h statement of investment philosophy and sty* for each
of manawment.
i nt"fe rend a m p y of your current marketing piece, wntract(s), ADV and f seal report.
d

01 s f l l c h d SChlmMh I ate^, M.Th. lnform6lbnpmvldad IwreIn b obtained fmm the inwamdnt mamger named herem
~ ~ ~ n W * ~ . . ~ b b e ~ t ~ b e r e ~ s b l e ~ b u l m ~ t l o n o r w ~ ~ k m & ~ t o ~ t s - ~ o r a m

Stan J. Caterbone Chapter 11

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INVESTMENT
MANAGER
Case:
15-3400 Document:
003112140828
Page: 71
Date Filed: 11/27/2015
Advanced Media Group
Page 37 of 45
02/16/2007

Dataform

(818) 247-5330

Telephone
(213) 245- 7 4 6 1
Contact
Name
Richard A. Snyders
Contact
1 Name

Name

Van Deventer & Hoch


420 North Brand Boulevard, Suite 405
Address Glendale, CA 91203

cin//State/zip
Ownership

Date Founded

Chemical New York Cor~oration

Affiliation
Minimum
~ c c o u nSize:
t

Tax-Exempt

Taxable

$100,000

$100,000

1969

Minimum
Tax-Exempt
(annual) $2.000
Fee:

Taxable

$2,000

Feestructure 2% first $100,000; 1% next $200,000; 3/4% next $200,000:

2/3% all over $500,000


Manage:

Equity
Only

Capital Markets Used: Stock


Real Estate
Equity
Asset Mix in A l l
in/ Accounts as of
n/a
Mutual Funds Managed:

In-House Co-Mingled Funds:

Balanced
Accounts
Corporate
Bond

Fixed
Cash
Income
Management
Other:
Government
International
Bond
Cash [XI
Securities

Futures

Options

Max Equity

Other:
%

Min. Equity

none

none

Special Services (check one):

Active

Passive

Minimum Account
Size (specify):

I3

Bond Irnmunization/Bond Dedication


Municipal Bonds

N/A

[7

Ed

I3

0
0

Socially Sensitive (if asked, will not invest in "sin" stocks)


Convertible Preferreds

rn

Convertible Bonds

El

Government Bonds

Ed

INVESTMENT STYLE:
ease attach statement of investment philosophy and style for ewh type of management.
M a copy of your current marketing piece, contractls), ADV and fiscal report.

a-

01986 Richud Schimarth &ksoda(es. m.~ h Infanutbn


s
prov~ed
m h is obtained fmm the lnvwtmnr manager named herem
."d
prblidy .MIlabb
wrcw
rel&e.
bul233
mrepresentabon
a wanamy k made as
to its accuracy
aampkrtemtss.
Stan J.
Caterbone
Chapter
11 mnd b belle& to bePage
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Tuesday,
January
26, 2016
No. 37 of 45

Case:
15-3400
Page:
72 California
Date Filed:
11/27/2015
Van Deuenier
81 Hoch Document:
4.0 North 003112140828
Brand Boulevard
~1enda.k.
9120)
(213) 247-5330/24;
Advanced Media Group
Page 38 of 45
02/16/2007

Id

Investment Counsel
FEE SCHEDULE
Fees are charged QUARTERLY in advance using the following
W A L formula:
Portfolio
Value

Fee as a % of
portfolio Value

First

$100,000

2%

Next

$200,000

1%

Next

$200,000

3/4 9

Amounts
Over

$500,000

2/39

Examples of V A L Fees:
Portfolio
Value

I
I
I
i
I

Fee as a % of
portfolio Value

Annual
Fee

750,000

7,167

0.96

1,000,000

8,833

0.88

2,000,000

15,500

0.78

3,500,000

25,500

0.73

5,000,000

35,500

0.71

pINIMUM ANNUAL FEE:

$2,000 PER YEAR

Note: No start-up or termination charses

II
I

Stan J. Caterbone Chapter 11

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Advanced Media Group
Page 39 of 45

Date Filed: 11/27/2015


02/16/2007

..

.
.'

.'*

- -._%

- ----.-!---.;
=.L
L.1;

--.

-__

PENSION A N D PROFIT SHARING COLLECTIVE INVESTMENT FUND

REPORT O N EXAMINATIONS OF FINANCIAL STATEMENTS


for the years ended December 31, 1986 and 1985

Stan J. Caterbone Chapter 11

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Advanced Media Group

Document: 003112140828
Page: 74
Page 40 of 45

Date Filed: 11/27/2015


02/16/2007

To the Board of Directors


~ari-isburg,Pennsylvania
We have examined the statements of assets and liabilities
of the
Pension and Profit Sharing Collective Investment Fund
as of December 31. 1986 and 1985, including the portfolio of investments as of December 31, 1986, and the related statements of operations and changes in net assets for the years then ended. Our
examinations were made in accordance with generally accepted auditing standards and, accordingly, included confirmation of investments
held for the account of the fund by the custodians, and such tests of
the accounting records and such other auditing procedures as we considered necessary in the circumstances.
.In our opinion, the financial statements referred to above
present fairly the financial position of the
Pension and Profit Sharing Collective Investment Fund as of December 31, 1986 and
1985, and the results of its operations and the changes in its net
assets for the years then ended, in conformity with generally
accepted accounting principles applied on a consistent basis.
We have also previously examined. in accordance with generally accepted auditing standards. the financial statements of the
fund for each of the three years in the period ended December 31,
1984; and we expressed unqualified opinions on those financial statements.
In our opinion, the financial information set forth in Note 4
to the financial statements for each of the five years in the period
ended December 31, 1986, is fairly stated in all material respects
in relation to the financial statements from which it has been
derived.

March 19. 1987

Stan J. Caterbone Chapter 11

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L,76

,f&Q 15-3400
Case:

',."-

I . . .

Document: 003112140828
Page: 75
Page 41 of 45

2 Media Group
Advanced

.. . , .

- ;...

-.:.-::r-

Date Filed:
11/27/2015
:
'
?
,
02/16/2007

PENSION AND P R O F I T S H A R I N & ' " , . COLLECTIVE INVESTMENT FUND


...

.?.-

-&:% ;
I v , - ! . ! : , 2 .:$?
.uI
h

"//...,.
! .

... . _...

STATEMENTS O F A S S E T S AND L I A B I L I T I E S

December 31, 1986 and 1985

ASSETS:

Investments at value (cost


$126,174,490 and $125,472,567,
respectively)
Cash
Accrued interest and dividends
receivable
Total assets
LIABILITIES:
Income due participants for month
of December 1986, payable
January 1, 1987 at rate of
$.697 per unit and for month
of December 1985, payable
January 1, 1986 at rate of
S.800 per unit
Accrued expenses
Total liabilities
NET ASSETS
Net assets are represented by:
Funds applicable to 1,093,410 units
outstanding, equivalent to
$131.00 per unit in 1986,,and
to 1,174,423 units outstanding
equivalent to $121.81 per unit
in 1985:
Consisting of:
Amounts invested by
participating trusts
Accumulated gain on securities
sold o r redeemed
Unrealized appreciation
of investments
Excess of accumulated redemption
value of units redeemed
over participants' cost
Undistributed net investment
income

111,304,255

116,450,421

24,250,255

13,163,605

15,432,951

15,944,284

(7,778,196)

(2,520,983)

28,780

16,695

$143,238,045

$143,054,022

See accompanying notes to financial statements.


Stan J. Caterbone Chapter 11

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'

Case:
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Page: 76
Advanced Media Group
Page 42 of 45

Date Filed: 11/27/2015


02/16/2007

THE VILLAGE OF OLDE HICKORY


VILLAGE SQUARE OF OLDE HICKORY
OLDE HICKORY RACQUET CLUB
BOYDfWILSON BUILDING
OREGON PIKE
MANHEIM TOWNSHIP
LANCASTER COUNTY, PENNSYLVANIA
for

BOYD/WILSoN COMPANY

MARY L. CLINTON
APPRAISAL ASSOCIATES, INC.
PRESIDENT
DATED:

Stan J. Caterbone Chapter 11

SEPTEMBER 1, 1985

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Advanced Media Group
Page 43 of 45

.,.

. ..,
.. . .. .-

430 WEST CHESTNUT STREET

Date Filed: 11/27/2015


02/16/2007

LANCASTER, PENNSYLVANIA 17603

October 2 3 , 1985

BoydfWilson Company
208 Oregon Pike
L a n c a s t e r , PA 17601
ATTN: Dale Witmer
RE:

The Olde Hickory Complex

Dear M r . Witmer:
I n accordance with your r e q u e s t , I have examined t h e above p r e m i s e s , c o n s i s t i n g
of a group of townhouses, 3.0 s t o r y e l e v a t o r garden apartment b u i l d i n g s , a l o c a l
shopping c e n t e r , ( 2 ) o f f i c e b u i l d i n g s , a r a c q u e t c l u b and miscellaneous improvements
i n c l u d i n g a swimming p o o l , a 30 a c r e g o l f c o u r s e and t e n n i s c o u r t s l o c a t e d on
approximately 100 a c r e s of l a n d i n Manheim Township, L a n c a s t e r County, Pennsylvania.
The purpose of my examination and s t u d y i s t o v a l u e t h e premises i n t h e c u r r e n t
market .
I n a r r i v i n g a t my v a l u a t i o n , I have among o t h e r f a c t o r s c o n s i d e r e d t h e following:
(1)

Location Trends. The V i l l a g e of Olde Hickory and t h e surrounding developing


a r e a i s an a t t r a c t i v e r e s i d e n t i a l d i s t r i c t . I am o f t h e o p i n i o n t h a t i t
w i l l maintain i t s p r e s e n t s t a t u s o r g r a d u l l y improve.

(2)

I e s t i m a t e t h e e s t a b l i s h e d Net Income imputable t o a l l t h e f r a c t i o n s of t h e


V i l l a g e of Olde Hickory a t $1,324,333 p e r annum.

(3)

C a p i t a l i z e d Value f o r both income flows which computes a t $13,000,000


per annum. T h i s i s p r e d i c a t e d upon t h e t o t a l e a r n i n g s o f $1,324.333 p e r
annum c a p i t a l i z e d a t an o v e r a l l r a t e of 10.14%.

I n my o p i n i o n , t h e market v a l u e of t h e premises i n t h e c u r r e n t market is:


THIRTEEN MILLION DOLLARS

I n l i g h t of t h e s e c o n s i d e r a t i o n s and o t h e r f a c t o r s s e t f o r t h i n my a p p r a i s a l r e p o r t
which f o l l o w s , I have a r r i v e d a t t h e aforementioned v a l u a t i o n .
Respectfully submitted,

l i n t o n11
Mary L. C
Stan J. Caterbone
Chapter
president

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Page 44 of 45

Date Filed: 11/27/2015


02/16/2007

INCOME APPROACH

VILLAGE OF OLDE HICKORY:

DEFINITION: T h i s approach d e a l s with t h e p r e s e n t worth and f u t u r e p o t e n t i a l


b e n e f i t s of t h e p r o p e r t y . This i s g e n e r a l l y measured by t h e n e t income which
a f u l l y informed person i s warranted i n assuming t h e p r o p e r t y w i l l produce d u r i n g
t h e remaining u s e f u l l i f e . A f t e r comparison with investments of s i m i l a r t y p e and
c l a s s , t h e n e t income i s c a p i t a l i z e d i n t o a value e s t i m a t e .
The g r o s s and n e t income g e n e r a t e d by t h e c u r r e n t r e n t s f o r t h e y e a r 1985 a r e
d i v i d e d as f o l l o w s :

Residential
Commercial Income
Golf & Swimming

Annual Gross Income

Annual Net Income

$2,224,766

$1,072,465

275,714

204,182

93,310

(11,870)

Racquet Club
Total

(Expense r a t i o i s 52% of g r o s s ( i n c l u d i n g vacancy & bad debt allowance).

The r e s i d e n t i a l income o f $2,224,766 p e r annum averages $89.31 p e r room p e r month.


The l e a s e s have a 1 y e a r term with t e n a n t s absorbing a l l o f t h e i r e l e c t r i c a l charges
which i n c l u d e s e l e c t r i c h e a t i n g , a i r c o n d i t i o n i n g and h o t w a t e r .
Management e x p e c t s a t u r n o v e r of 30% t o 35% i n t h e r e s i d e n t i a l u n i t s d u r i n g 1985.
This would i n c r e a s e t h e r e n t r o l l m a t e r i a l l y a s shown on t h e following s c h e d u l e o f
Monthly Rates e f f e c t i v e September 1, 1985.

A 3% allowance f o r vacancy and bad d e b t s was considered a p p r o p r i a t e due t o t h e f a c t


t h a t t h e r e i s g e n e r a l l y a w a i t i n g l i s t f o r new c o n t r a c t s .
COMMERCIAL RENTALS:
Rentals f o r t h e shopping c e n t e r , t h e f o u r o f f i c e s i n t h e former s t o n e farmhouse and
3 r e t a i l and o f f i c e u n i t s i n t h e Boyd/Wilson Building aggregates $275,714 p e r annum
( s e e schedule of b a s e r e n t a l s ) . A 5% vacancy and bad debt d e d u c t i o n appears a p p r o p r i
based on p a s t h i s t o r i c a l r e c o r d s .
The r e n t a l o f f i c e ( U n i t 6 ) does n o t c o n t r i b u t e any r e n t . I have a p p l i e d a r e n t a l o f
$6.75 p e r s q . i t . which i s i n t h e lower h a l f of t h e r e n t r o l l range which computes
I
1
t o $9,072 annually.
The income from t h e Golf and Swim Club which we have taken from t h e l a s t s t a t e m e n t
of e a r n i n g s i s $93,310 p e r annum and m i s c e l l a e o u s income approximates $5,000 p e r y e a r

CHESTNUT

Stan J. Caterbone
Page
240
355
Tuesday,
January 26,
2016
x P P a Chapter
S a 1 ~ S11S O C S . ~ S 430 WEST
STREET, IANCASTER,
PENNSYLVANIA
116m
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Page: 79
Advanced Media Group
Page 45 of 45

Date Filed: 11/27/2015


02/16/2007

June 15, 1987


Mr. Stanley Caterbone
FINANCIAL MANAGEMENT GROUP LTD
1755 Oregon Pike
Lancaster, Pennsylvania 17601
Dear Stan:
It was good speaking with you - - at last - - after our message
go round. Enclosed are the materials you requested. I expect that
this should reach you by Wednesday.
As I indicated to you, Hunterdon County is the area I have tareeted
for development in New Jersey. InteretaLc 78 was completed this
year and tied Hunterdon County into a 25-35 minute commute to many
major corporate centers in New Jersey, i.e. Morristown. Princeton
and New Brunswick. After completing a survey of the area, I am
satisfied with the resulting information. I have been dealing with
local brbkers with a view towards locating both residential and
commercial sites for development, several properties are under negotiation
at this time. These projected investments are well leveraged and
offer impressive cash-on-cash returns.

I look forward to discussing these opportunities with you.

SW:wc
Enclosures
Via Express Mali

Stan J. Caterbone Chapter 11


1 2 0
C O U N T Y

R O A D

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I E N A F

Tuesday, January 26, 2016


N l

O I h 7 O

2 0 1

5 6 8 h 8 7 5

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

January 26, 2016


Chapter 11 Bankruptcy Filing of January 26, 2016
Part 4 - Identify Legal Actions, Repossessions, and Foreclosures Attachment
ACTIVE COURT CASES Defendants To Numerous To Name (Illegally Locked Out of
Pacer Account to Access Federal Court Records)
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,
06-03401

Stan J. Caterbone, Pro Se Litigant


ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

Stan J. Caterbone Chapter 11

Page 242 of 355

Tuesday, January 26, 2016

Case: 15-3400

Document: 003112140828

Page: 80

Date Filed: 11/27/2015


[email protected]

https://www.scribd.com/stan5j.5caterbone

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
(717)669-2163

PRESS RELEASE
Saturday, July 4, 2015
Lancaster, Pennsylvania, Advanced Media Group and Stan J. Caterbone Proposed ORGANIZED
STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT BILL to Pennsylvania House of
Representative Mike Sturla (Lancaster, Pennsylvania) and City of Lancaster Mayor Richard Gray.
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.
Stan J. Caterbone has been a victim of organized stalking since 1987 and a victim of electronic and
direct energy weapons since 2005. He has also been telepathic since 2005. Stan J. Caterbone will
help introduce measures that also pertain to remote viewing; mental telepathy and synthetic
telepathy in more detail. Personal accounts of his pain and torture are also filed in various United
States federal and state courts.
We are urging you to contact your local representatives and support our efforts to pass this
legislation. Below you will find the listings of Pennsylvania State Representatives.

For More Information Please Contact Us At: [email protected] and visit our library of
documents at https://www.scribd.com/stan5j.5caterbone
_________________________________________________
The draft of the legislation can be found on the following page:

Stan J. Caterbone Chapter 11

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Document: 003112140828

Page: 81

Capitol Office
State Capitol
Jefferson City Mo.
573-751-0246

Date Filed: 11/27/2015

District Office
Second Street
King City Mo.
660-535-6664

May 21, 2009


To Whom It May Concern,

This letter is to ask for your help for the many constituents in our country who are being affected unjustly
by electronic weapons torture and covert harassment groups. Serious privacy rights violation and physical
injuries have been caused by the activities of these groups and their use of so-called non-lethal weapons on
men, women, and even children.
I am asking you to play a role in helping these victims and also stopping the massive movement in the use
of Veri-chip and RFID technologies in tracking Americans.
Long before Veri-chip was known we were testing these devices on Americans, many without their
knowledge or consent.
There are new revelations of the cancer risk besides the privacy and human rights problems with the use of
Veri-chip and RF signals.
I am asking for your help in stopping these abuses and aiding those already affected.

Sincerely,
Rep. Jim Guest

Stan J. Caterbone Chapter 11

Page 244 of 355

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Case: 15-3400

Document: 003112140828

Page: 82

Date Filed: 11/27/2015

Organized Stalking and Directed Energy Devices and Weapons Bill

Section 1. Short Title This bill may be cited as the Organized Stalking and Directed Energy Devices and Weapons
Bill
Section 2. Findings and Purpose
A) Findings
1) The constitution guarantees the right of the people to be secure in their person. The Declaration
of Independence asserts as self-evident that all men have certain inalienable rights and that among
these are life, liberty, and the pursuit of happiness.
2) As Supreme Court Justice Louis Brandeis wrote in 1928, the framers of the Constitution sought
"to protect Americans in their beliefs, their thoughts, their emotions, and their sensations." It is for
this reason that they established, as against the government, the right to be let alone as "the most
comprehensive of rights and the right most valued by civilized men.
3) The first principle of the Nuremberg Code states that with respect to human research, the
voluntary consent of the human subject is absolutely essential. The Nuremberg Code further
asserts that such consent must be competent, informed, and comprehending.
4)There are current regulations implementing the obligations of the United States to adhere to
Article 3 of the United Nations Convention Against Torture and other Forms of Cruel, Inhumane or
Degrading Treatment including all terms that are Subject to any reservations, understandings,
declarations, and provisions contained in the United States Senate resolution of ratification of the
Convention.
B) Purpose
To establish regulations and penalties for those who use any type of electronic frequency devices,
directed energy devices, implants, surveillance technology, and directed energy weapon to
purposefully cause any of the following: stalking, harassing, mental or physical harm, injury,
harmful surveillance, torture, diseases, and death to any United States citizen.
Section 3. Organized Stalking
If two or more persons willfully, maliciously, and repeatedly follow or willfully and maliciously
harass another person and who make a credible threat with the intent to place that person in
reasonable fear for his or her safety, or the safety of his or her immediate family, they are guilty of
the crime of organized stalking, punishable by imprisonment in a county jail for not more than one
year, or by not more than one thousand dollars ($ 1,000), or by both that fine and imprisonment,
or by imprisonment in a federal prison.
If two or more persons violate subdivision (a) when there is a temporary restraining order,
injunction, or any other court order in effect prohibiting the behavior described in subdivision (a)
against the same party, they shall be punished by imprisonment in the state prison for two, three,
or four years.
For the purposes of this section, "harass" means engages in a knowing and willful course of
conduct directed at a specific person that seriously alarms, annoys, torments, or terrorizes the
person, or damages his personal property or possessions and that serves no legitimate purpose. *
**

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For the purposes of this section, "course of conduct" means two or more acts occurring over a
period of time, however short, evidencing a continuity of purpose. Constitutionally protected
activity is not included within the meaning of "course of conduct."
For the purposes of this section, "credible threat" means a verbal or written threat, including that
performed through the use of an electronic communication device, or a threat implied by a pattern
of conduct or a combination of verbal, written, or electronically communicated statements and
conduct, made with the intent to place the person that is the target of the threat in reasonable fear
for his or her safety or the safety of his or her family, or personal property or possessions and
made with the apparent ability to carry out the threat so as to cause the person who is the target
of the threat to reasonably fear for his or her safety or the safety of his or her family or personal
property or possessions. It is not necessary to prove that the defendant had the intent to actually
carry out the threat. The present incarceration of a person making the threat shall not be a bar to
prosecution under this section. Constitutionally protected activity is not included within the
meaning of "credible threat."
For purposes of this section, the term "electronic communication device" includes, but is not limited
to, telephones, cellular phones, computers, video recorders, fax machines, pagers or synthetic
telepathy devices.
The sentencing court also shall consider issuing an order restraining the defendant from any
contact with the victim, that may be valid for up to 10 years, as determined by the court. It is the
intent of the Legislature that the length of any restraining order be based upon the seriousness of
the facts before the court, the probability of future violations, and the safety of the victim and his
or her immediate family.
For purposes of this section, "immediate family" means any spouse, parent, child, any person
related by consanguinity or affinity within the second degree, or any other person who regularly
resides in the household, or who, within the prior six months, regularly resided in the household.
Section 4. Punishment for threats
Any person or persons who willfully threatens to commit a crime which will result in death or great
bodily injury to another person, with the specific intent that the statement, made verbally, in
writing, or by means of an electronic communication device, is to be taken as a threat, even if
there is no intent of actually carrying it out, which, on its face and under the circumstances in
which it is made, is so unequivocal, unconditional, immediate, and specific as to convey to the
person threatened, a gravity of purpose and an immediate prospect of execution of the threat, and
thereby causes that person reasonably to be in sustained fear for his or her own safety or for his or
her immediate family's safety, shall be punished by imprisonment in a federal prison not to exceed
one year..
For the purposes of this section, "immediate family" means any spouse, whether by marriage or
not, parent, child, any person related by consanguinity or affinity within the second degree, or any
other person who regularly resides in the household, or who, within the prior six months, regularly
resided in the household.
"Electronic communication device" includes, but is not limited to, telephones, cellular telephones,
computers, video recorders, fax machines, pagers or synthetic telepathy devices
Obscene, threatening or annoying communication
(a) Every person or persons who, with intent to annoy, telephones or makes constant contact by
means of an electronic communication device with another and addresses to or about the other
person any obscene language or addresses to the other person any threat to inflict injury to the
person or any member of his or her family, or any property or personal possessions is guilty of a
misdemeanor. Nothing in this subdivision shall apply to telephone calls or electronic contacts made
in good faith.

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(b) Every person or persons who makes repeated telephone calls or makes repeated contact by
means of an electronic communication device with intent to annoy another person at his or her
residence, is, whether or not conversation ensues from making the telephone call or electronic
contact, is guilty of a misdemeanor. Nothing in this subdivision shall apply to telephone calls or
electronic contacts made in good faith.

(c)
Every person or persons who makes repeated telephone calls or makes repeated contact by
means of an electronic communication device with the intent to annoy another person at his or her
place of work is guilty of a misdemeanor punishable by a fine of not more than one thousand
dollars ($ 1,000), or by imprisonment in a federal prison for not more than one year, or by both
that fine and imprisonment. Nothing in this subdivision shall apply to telephone calls or electronic
contacts made in good faith. This subdivision applies only if one or both of the following
circumstances exist:
(1) There is a temporary restraining order, an injunction, or any other court order, or any
combination of these court orders, in effect prohibiting the behavior described in this section.
(2) The person or persons makes repeated telephone calls or makes repeated contact by means of
an electronic communication device with the intent to annoy another person at his or her place of
work, totaling more than 10 times in a 24-hour period, whether or not conversation ensues from
making the telephone call or electronic contact, and the repeated telephone calls or electronic
contacts are made to the workplace of an adult or fully emancipated minor who is a spouse, former
spouse, cohabitant, former cohabitant, or person with whom the person has a child or has had a
dating or engagement relationship or is having a dating or engagement relationship.
(d) Any offense committed by use of a telephone may be deemed to have been committed where
the telephone call or calls were made or received. Any offense committed by use of an electronic
communication device or medium, including the Internet, may be deemed to have been committed
when the electronic communication or communications were originally sent or first viewed by the
recipient.
(e) Subdivision (a), (b), or (c) is violated when the person acting with intent to annoy makes a
telephone call requesting a return call and performs the acts prohibited under subdivision (a), (b),
or (c) upon receiving the return call.
(f) If probation is granted, or the execution or imposition of sentence is suspended, for any person
or persons convicted under this section, the court may order as a condition of probation that the
person participate in counseling.
(g) For purposes of this section, the term "electronic communication device" includes, but is not
limited to, telephones, cellular phones, computers, video recorders, fax machines, pagers or
synthetic telepathy devices.

Section 5. Assault and battery with an electronic or directed energy weapon


Any person or persons who in the course of organized stalking and harassment, commits an assault
upon the person of another with an unauthorized directed energy weapon shall be punished by
imprisonment in a federal prison for two, three, or four years or by a fine not exceeding ten
thousand dollars ($10,000).
For the purposes of this section the term directed energy weapon is defined as any device that
directs a source of energy (including molecular or atomic energy, subatomic particle beams,
electromagnetic radiation, plasma, or extremely low frequency (ELF) or ultra low frequency (ULF)
energy radiation) against a person or any other unacknowledged or as yet undeveloped means of
inflicting death or injury; or damaging or destroying, a person (or the biological life, bodily health,
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mental health, or physical and economic well-being of a person via land-based, sea-based, or
space-based systems using radiation, electromagnetic, psychotronic, sonic, laser, or other energies
directed at individual persons or targeted populations for the purpose of information war, mood
management, or mind control of such persons or populations; or by expelling chemical or biological
agents in the vicinity of a person.

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Richmond council passes resolution


supporting ban on space-based
weapons

May 20, 2015


FacebookTwitterMore
9 comments
The Richmond City Council passed a resolution Tuesday supporting a ban on space-based
weapons after a lengthy discussion over whether individuals are being psychologically
and physically harmed by exotic government-patented attacks from high in the sky.
Councilmember Jovanka Beckles, a member of the Richmond Progressive Alliance (RPA),
introduced the resolution, saying it begins to address concerns of a Richmond resident
who claims shes been targeted by remote transmission from space-based weaponry.
Others claiming to have suffered physical and psychological attacks traveled from around
the country to speak at Tuesdays council meeting. One speaker claimed to have been
zapped multiple times right before his testimony at council.
The resolution supports the Space Preservation Act and Space Preservation Treaty
permanently banning space-based weapons, even though the legislation first introduced
by Rep. Dennis Kucinich in 2001 has never gained traction in Congress. It appears that
Richmond is the first municipality in the U.S. to take up this lofty issue in more than a
decade. In 2002, the City of Berkeley passed a similar resolution supporting the ban.
Conspiracy theorists believe the resolution is a step toward ensuring secret weaponry
such as chemtrails, which are trails left in the sky by high-flying aircraft that supposedly
emit a chemical or biological agent, can no longer target unwitting citizens. For RPA
members on the council, the resolution is also an anti-war initiative.
RPA members on council, Gayle McLaughlin and Eduardo Martinez, also voted in favor of
the resolution. Vice Mayor Jael Myrick and Councilmember Nat Bates were the final two
yes votes, although Bates claimed he was confused by the discussion.
Im going to support the resolution for the simple reason that we have voted on a lot of

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dumb ideas, Bates said.


Mayor Tom Butt voted no, saying he believes the conspiracy theory behind space-based
weapons is above the heads of city leaders and has taken time away from more pressing
city matters such as the budget deficit, potholes, and crime. Butt has complained in the
past about the RPA attempting to hijack council sessions to push a radical agenda
regardless of whether the issues are important to Richmond residents.
The mayor also pointed to a signed 1967 treaty banning the militarization of space.
The other dissenting vote came from Councilmember Vinay Pimple, who pointed out that
supporting a limitation on the ability of the U.S. to defend against attacks from longrange missiles might not be wise.
Pimple disputed what he called knee-jerk reactions from RPA members who depicted
President Ronald Reagans proposed space-based anti-missile program of 1983, known as
the Star Wars initiative, as inherently evil. The Cold War initiative was intended to
defend against USSR missiles during the Cold War and was shelved not for the projects
moral ambiguity but its perceived effectiveness, Pimple said.
The idea behind Star Wars, Pimple said, is you can knock out someones weapons long
before they enter your air space. The U.S. used Patriot missiles to knock out Iraqi Scuds
targeting Israel and Saudi Arabia, he added.
RPA members, however, argued that this issue is not just about war but about the
individuals in the U.S. who believe governments are using futuristic weapons in space for
the purpose of inflicting pain and mind control. Martinez argued that they may very well
be telling the truth. He recalled a science fiction novel he wrote a paper on during college
that predicted truths 20 years in advance.
Its easy for me to see that things which are wrong can happen because we have the
wrong mindset, Martinez said.
Myrick said he supported the resolution because he doesnt support war.
The weaponization of spaceis something I think is extremely immoral and we should
not be as a nation engaging in, Myrick said. Maybe some wars are unavoidable, that
may be true. But whatever we can do to get our country away from that mindset..thats
why I support this resolution.
Amy Lee Anderson, a targeted individual who brought the matter to Beckles attention,
was thankful that the council took up the issue.
No where in the United States, no targeted individual can get this support, Anderson
said. We just needed one person, one city. Because of that, you all our heroes. We are
dying within because the technology is so sophisticated. Its hard for someone who has
no experience to fathom it, its so sophisticated.
Related posts:

1. Richmond councilmember pushes city resolution banning exotic space-based


weapons

2. Dirty bomb drill in Richmond alarms conspiracy theorists, including Alex Jones
Comments

1. Cmon Richmond Standard.your bias is showing!


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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163

October 10, 2015

Federal Whistleblower
and
Targeted Individual (Victim)
of U.S. Sponsored Mind Control
Executive Summary
Updated on October 10, 2015

I remain,

Stan J. Caterbone

PRIVILEGED AND CONFIDENTIAL: Stan J. Caterbone, Pro Se Litigant, and the Advanced Media
Group are victims of U.S. Sponsored Mind Control and has been engaged in litigation in both
Federal and State courts seeking financial remedies and a resolution of his Civil Liberties and
his Constitutional Rights. In 1987 Stan J. Caterbone, while managing the financial firm the he
founded, Financial Management Group, Ltd., Stan J. Caterbone became a Federal Whistleblower
when, as a shareholder, he claimed fraud and misconduct within the international arms dealer
and local start-up International Signal & Control, Plc., Some 4 years later ISC was indicted and
plead guilty to the 3rd largest fraud in U.S. history, some $1 Billion and selling arms to Irag via
South Africa. In June of 2015 Stan J. Caterbone became the Movant in the U.S. District Court
for the Eastern District of Pennsylvania case No. 5:14-cv-02559-PD for the Habeus Corpus
Petition of Lisa Michelle Lambert. The case is now before the U.S. Third Circuit Court of
Appeals, Case No. 15-3400.

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ADVANCED MEDIA GROUP


ADVANCED MEDIA GROUP, LTD.,
&
STAN J. CATERBONE
Federal Whistleblower (Federal False Claims Act Violation in 1987 re ISC)
Targeted Individual of U.S. Sponsored Mind Control
and Directed Energy Devices and Weapons

EXECUTIVE SUMMARY
copyright 2009

Ya know what, I am beginning to analyze this War on Terror and am having difficulty understanding
it all. To me the most effective fundamental fight against Extreme Terrorism is to reduce the motive; or the
Hatred Against America. No one seems to talk about that subject. How do we reduce that Hatred Towards
America and the West?
See, from my perspective, my situation is very disturbing. I mean we have the United States Torturing Me, a
U.S. Citizen for no good or valid reason. I have warned EVERYONE about using my situation to feed this
HATRED towards America.
Low and behold a week or so ago I have had several Muslims sign up as Followers to my
www.scribd.com/amgroup01 online webspace, which I use to post documents. The following being the most
prominent IKWAN Scope, "The Largest Muslim Brotherhood's Scope on the Web":
http://ikhwanscope.net/main/
There have also been several Muslim individuals who signed up as followers around the same time, a week
or so ago. They have also signed up as followers on my www.twitter.com/StanCaterbone webspace.
You must understand, I am a VERY Patriotic Person and live a very patriotic life - I believe in the
U.S. Constitution and Our Founding Father's vision for America; I support Our Military and our
Troops; I believe in the Rule of Law; I am a Practicing Catholic, and have been my whole life; I
Believe in the TRUTH; I believe in Right v. Wrong; Good v. Evil; and finally I believe in God. What
do you believe in?
Posted on the Yahoo Fulton Bank Stock Message Board, January 7, 2010

Date Updated:

October 10, 2015

Date Completed:
Date Initiated:

July 28, 2009


July 8, 2009

Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com

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UDATE OF SEPTEMBER 27, 2015


In 2015 Stan J. Caterbone and Advanced Media Group had to again return to local,
state, and federal courts. Again the obstruction of due process, the local gang stalking, torture,
trespass, thefts, and the like began in earnest.

From the fabricated Petition for Involuntary

Psychiatric Commitment of April 2010 by Detective Clark Bearinger, until January of 2015, Stan J.
Caterbone and Advanced Media Group had been in seclusion and in a state of rehabilitation and
rest due to the forced medication by Fairmount Behavioral Hospital and Dr. Silvia Gratz.

The

psychotropic drugs reduce your motor skills and put you in an extreme state of confusion.

By

the

end

of

the

summer

of

2010

every

social

media

site,

including

the

www.amgglobalentertainmentgroup.com website was taken off-line due to the intimidation and


coercion by Detective Clark Bearinger.

In May Stan J. Caterbone had again endured the Attacks and Torture from the
employees of the Lancaster County Courthouse, and the Lancaster County Government Building.
Then soon after the Residents of Lancaster County engaged in a massive Organized Stalking
Campaign. In addition an extreme Computer Hacking Campaign was initiated and executed in
an effort to again SILENCE Stan J. Caterbone and Advanced Media Group.

And Again, the

Lancaster City Police Department took the lead role. As usual Stan J. Caterbone summoned state
and federal authorities for help and assistance, including direct communications with the White
House, the Federal Bureau of Investigation, the Pennsylvania Attorney General's Office and
Kathleen Kane, The Pennsylvania State Police, the Pennsylvania General Assembly, several U.S.
Congressmen, and of course the Lancaster County District Attorney's Office.

Since August 1,

2015 the Geek Squad had performed diagnostics and repairs six (6) times due to computer
hacking. On at least 2 occasions the entire hard drive had to be wiped clean and restored.

On June 23, 2015 Stan J. Caterbone was named MOVANT in the 2014 Habeus
Corpus Petition by Lisa Michelle Lambert, Case No. 14:02559 in the U.S. District Court
for the Eastern District of Pennsylvania after filing an Amicus on the case. Judge Paul
Diamond was presiding since it's filing in 2014. However, the Petition was not able to
be granted and the case was stalled on jurisdictional law based on new and compelling
evidence, or lack there of.

The Amicus was filed to cure that deficiency with direct

witness corroboration to the Prosecutorial Misconduct and Innocence of Lisa Michelle


Lambert.

In fact a working theory was filed that suggested that the East Lampeter

Police Department engaged in a strategy of Entrapment that lead to the unfortunate


murder in 1991. This, would of course, allow a wrongful death claim to be filed by the
Show family. The case is now before the Third Circuit Court of Appeals, Case No. 153400. There are three (3) questions that the Third Circuit may rule on; whether to free

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Lisa Michelle Lambert, or grant her her Habeus Corpus, and whether to grant Summary
Judgment to Stan J. Caterbone in all civil actions in both state and federal courts.

Two weeks later, on July 9, 2015, Detective Clark Bearinger filed another fabricated
Petition for Involuntary Psychiatric Commitment. And again Stan J. Caterbone endured 7 days in
the Fairmount Behavioral Hospital in Philadelphia.

However, this time there was

no

MANDATORY Treatment Program Ordered by the Lancaster County Court of Common Pleas.
So Stan J. Caterbone continued filing in the courts for assistance and resolution. In August, in a
desperate attempt to stop the local torture campaign, another Emergency Injunction was filed in
the Lancaster County Court of Common Pleas. On August 6, 2015 Stan J. Caterbone went so far
as to undertake a Professional Polygraph Test administered by Bonnie Lee of Polygraph Solutions
of West Chester, Pennsylvania. The test ended up being 4 grueling hours of torture and a scam of
$600.00.

On July 9th , 2015 a Private Criminal Complaint was filed against Detective Clark Bearinger,
Officer Williams, Officer Binderup, and 2 unidentified patrolman.

The Complaint contained

allegations of torture and abuse at every moment of contact.

The Lancaster City Police

Department were so desperate for retaliation from the Amicus filing in the Lisa Michelle Lambert
case, that they actually broke the door in of 1250 Fremont Street in order to execute the
fabricated 302 petition. The Complaint was denied by the Lancaster County District Attorney on
August 8th . The Complaint is now under a Petition for Review by the Lancaster County Court of
Common Pleas.

On August 17, 2015 another Emergency Injunction for Relief was filed in the Lancaster
County Court of Common Pleas, Case No. 15-06985. The Injunction was heard by Judge Jeffrey
Wright, who dismissed it as frivolous. An appeal, MD 1561, is pending in the Superior Court of
Pennsylvania.

In addition, by September 26, 2015 Stan J. Caterbone had been granted Electronic Filing
Privileges in the local, state, and federal courts. This should alleviate the fraud and abuses of the
U.S. Postal Service and the computer hackers.

In 2015 Stan J. Caterbone identifies a trend that suggests that the Lancaster County
community-at-large was subject to either community targeting or community hypnosis.

The

community targeting theory is supported by experts Jullianne McKinney, Cheryl Welsh, and Dr.
John Hall. The community hypnosis theory is supported by direct personal relationships with the
Amazing Kreskin, Samuel P. Caterbone and Stan J. Caterbone.

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In September of 2015 Stan J. Caterbone begins to digitize a library of approximately 45


audio cassette tapes from his father, Samuel P. Caterbone. The tapes range in date from 1971 to
1996. The tapes prove an identical targeting campaign against both Samuel P. Caterbone and
Stan J. Caterbone.

In addition the tapes confirm that Steven P. Caterbone, brother of Stan J.

Caterbone, was most likely a target dating back to the early 1960's. In addition, the death of
Samuel P. Caterbone on July 20, 2001 was confirmed to be that of murder, not natural causes.

In the early 1990's Dr. Phillip Caterbone, brother, had been solicited by the National
Institute of Health, or NIH in Washington, D.C., for a fellowship to research and catalog a study to
find a genetic marker for depression in the CATERBONE family.

Phil interviewed all living

descendants and relatives of my father, Samuel P. Caterbone, Jr., and took blood samples. I am
alleging that this was a deliberate act to continue the cover story of mental illness to distract and
provide plausible deniability for any linkage to U.S. Sponsored Mind Control.

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HISTORY
In 1987 Stan J. Caterbone went public with allegations of fraud within International Signal
and Control, or ISC as they were commonly referred.

After discussions with ISC and United

Chem Con officials (an ISC/James Guerin straw company), and as a shareholder of record since
1983 of ISC, Stan J. Caterbone had a meeting with an ISC executive on June 23, 1987, which
resulted in a 22 year legal odyssey. The discussions involved a joint venture with his company,
Financial Management Group, Ltd., or FMG, Ltd., but ended in disclosure of his recent public
allegations of fraud. Four years later, ISC founder and chairman James Guerin, and other officials
and companies pleaded guilty to a $1 Billion Dollar Fraud and export violations including the
selling of arms through South Africa to Iraq and Sadaam Hussein.

However, money, power,

influence and public corruption had been used to cover-up the activities and Federal False Claims
Act violations of Stan J. Caterbone for the next eighteen years. There ensued a total blockade of
all United States Courts for all redress and remedy available in accordance with federal, state, and
local laws.

This included recovery of his business interests; intellectual property; real estate;

personal and business real property; his unblemished and impressive reputation; and his most
valuable asset - the ability to produce income. This might be legally referred to as the Right-ToWork under federal statutes.

Notwithstanding, Stan J. Caterbone has never made a bad

investment or developed a business that did not make a profit over the next 22 years.

This

includes two real estate properties that were illegally seized through foreclosure proceedings.

Since 1987 Stan J. Caterbone has been a prisoner and enemy of the state.

ISC was a

Department of Defense (DOD) Contractor and a partner with United States Intelligence Agencies
since it's beginings in the early 1970's. One of it's first contracts was Project X with the National
Security Agency or NSA of Ft. Meade, Maryland.
In summary, the following are facts and part of the public record regarding
SIGNAL & CONTROL OR ISC:

INTERNATIONAL

Once the third (3rd) largest employer in the County of Lancaster, Pennsylvania, with
over 5,000 employees.

James Guerin, founder and CEO was once the largest philanthropist to charitable
organizations in the County of Lancaster, Pennsylvania.

The ISC/Ferranti Scandal was the third (3) largest white-collar fraud within the United
States as of 1992.

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The following are some of the public officials and politicians associated with ISC:
George H.W. Bush, former U.S. President, and Director of the Central Intelligence
Agency (CIA).

Robert Gates, former Director of the Central Intelligence Agency (CIA) and current
Secretary of Defense.

Bobby Ray Inman, former Board of Directors if ISC, former Director of the NSA, and
currently associated and directly involved with Mind Control Research organizations.

Alexander Haig, former U.S. Secretary of State, and ISC lobbyist and Board of
Directors?

Joseph McDade, former Pennsylvania House of Representative and Chair of the


Appropriations Committee who was later investigated for the United Chem Con
scandal.

Carlos Cardoen/Cardoen Industries, a joint venture partner with ISC and arms
merchant for the cluster bomb who eventually sold to Iraq and other Middle Eastern
Countries under U.S. sanctions.

ISC was credited with the design of the cluster bomb, and has patents filed in the U.S.
Patent Office.

In 1987 ISC completed the merger with the 3rd largest defense contractor of Great
Britain, Ferranti International; who paid $1 billion dollars for ISC and all of it's
subsidiaries.

ABC News/Financial Times aired 3 episodes on ABC Nightline with Ted Koppel
regarding the ISC/CIA defense weapons; technologies; and cluster bombs to Iraq
story and lead into the allegations that then nominee for the Director of CIA Robert
Gates was involved with ISC and the selling of arms to Iraq.

ABC News 20/20 aired a story on the ISC/CIA efforts to sell cluster bombs to Saadam
Hussein and Iraq on February 1, 1991 days after the start of the Persian Gulf War I,
with the initial bombing raid destroying a cluster bomb factory built in Iraq by
Carlos Cardoen.

On July 1st and 2nd of 1987 Stan J. Caterbone solicited the legal counsel of Lancaster
Attorney Joseph Roda for counsel regarding, FMG, Ltd., International Signal &
Control (ISC); Commonwealth Bank, etc., and was billed for his services. Joseph
Roda did absolutely nothing but refute Stan J. Caterbone's claims and would not
believe him.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Lancaster Attorney Joseph Roda represented William Clark, ISC's in-house legal
counsel, and never mentioned any conflict to Stan J. Caterbone in 1987.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas), James


Guerin deposited $1.75 million dollars into an escrow account at Fulton Bank,
Lancaster, County.

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In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Christopher Underhill of Harman, Underhill & Brubaker, represented James
Guerin. In 2005 Christopher Underhill represented the Manheim Township Police
Department (05-cv-2288 U.S. District Court for the Eastern District of
Pennsylvania) CATERBONE v. Lancaster County Prison, et. al.,.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Philadelphia Attorney Joseph Tate represented James Guerin and ISC, and in 2007
Joseph Tate represented Scooter Libby during his federal prosecution by U.S.
Special Prosecutor Fitzpatrick.

THE MANIFEST OF A COVER-UP


Not only did the allegations of fraud within ISC have to be silenced at a time when merger
negotiations were ongoing with Ferranti, but all of the fraud; extortion; public corruption;
burglaries; civil rights violations; anti-trust and intellectual property right violations; lender
liability torts; false arrests; false imprisonments; as well as other civil and criminal activities had
to be covered up and buried in bureaucratic red tape.
uncovered and discovered to this day.

Information and findings are still being

Contrary to popular belief, up until 1996 a grand jury

investigation into ISC was still ongoing. It is not known whether it has closed or not. All of these
activates constitute a RICO crime due to the pattern and organization of the perpetrators. The
pattern and source of the activities can be traced back to 1987, with subgroups changing over
time, but still engaging in the same practices. The following plan of action was followed in order
to perpetrate the cover-up:

Totally discredit Stan(ley) J. Caterbone and any and all allegations in every way
possible.

Fabricate a history of mental illness.


Fabricate a criminal record.
Attach his character and honesty with rumors and propaganda.
Extort and maintain his net worth to $ zero or load him with debts.
Keep him out of any profession and or occupation when and where possible.
Totally isolate him and disenfranchise him from his friends, colleagues, and family
into a life of solitaire.

Somehow persuade the community of Lancaster County to buy into this plan of
action through money, favors, etc.,

Always keep attorneys and anyone remotely involved with the legal community
away at times when efforts for justice are pursued.

When attempts to enter the U.S. legal system arise, isolate, harass, and extort
any monies and/or possessions of value.

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Change the history of events and the truth.


THE COURTS AND THE UNITED STATES LEGAL SYSTEM
For 18 years, (from 1987 until 2005) it has always been fairly easy to keep these issues
from court dockets and judges.

During these years Stan J. Caterbone had solicited at least

twenty attorneys, some from large firms with national recognition in their respective fields of
specialties. Attorneys from New York City to Santa Barbara and San Diego California were visited
and consulted as well as a group of ex FBI agents who specialized in white collar crime that are
now globally recognized. However, the money and influence of persons and entities that wanted
these issues silence always prevailed. The issues were so complex and convoluted, and involved
such high profile politicians and U.S. agencies, it was far easier to state that there was no case, or
their were no claims that would result in remedy or redress. Between the Republican Party and
the Department of Defense, the CIA and the NSA, there was not an attorney that could not be
influenced. The obstruction of justice and due process in this case is most likely unprecedented in
nature and in malice.

However in 2005 that all changed when Stan J. Caterbone appeared as a pro se litigant
representing himself, without any counsel, in the United States District Court for the Eastern
District of Pennsylvania in CATERBONE v. The Lancaster County Prison, et. al., or case no. 05-cv2288.

This case is still not settled and has been withdrawn by plaintiff Stan J.

Caterbone in October of 2008 after a successful ruling in the U.S. Third Circuit Court of
Appeals (07-4474) in September of 2008. The case will be continued upon the security
of evidence and the cease and desist of obstruction of justice and due process. On May
16, 2005 at the Federal Courthouse in Philadelphia, Stan J. Caterbone filed the case under seal.
One week later in the United States Bankruptcy Court for Eastern Pennsylvania in Reading,
Pennsylvania, again appearing as pro se, Stan J. Caterbone filed a petition for protection under
the Chapter 11 Bankruptcy Code, in case no. 05-23059.

These acts of entering the United States legal system with these issues triggered yet
another round of attempts to keep these cases from the courts and judges - Organized Stalking
with Directed Energy Devices and Weapons, built on a foundation of mental telepathy or total
Mind Control.

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REMOTE VIEWING; ORGANIZED STALKING; DIRECTED ENERGY DEVICES AND


WEAPONS.
Organized stalking and harassment began in 1987 following the public allegations of fraud
within ISC. This organized stalking and harassment was enough to drive an ordinary person to
suicide. As far back as the late 1980's Stan J. Caterbone knew that his mind was being read, or
"remotely viewed". This was verified and confirmed when information only known to him, and
never written, spoken, or typed, was repeated by others. In 1998, while soliciting the counsel of
Philadelphia attorney Christina Rainville, (Rainville represented Lisa Michelle Lambert in the Laurie
Show murder case), someone introduced the term remote viewing through an email. That was
the last time it was an issue until 2005. The term was researched, but that was the extent of the
topic.

Remote Viewers may have attempted to connect in a more direct and continuous way

without success.

In 2005 the U.S. sponsored mind control turned into an all-out assault of mental
telepathy; synthetic telepathy; 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 Stan J. Caterbone with mental telepathy. The
main difference opposed to most other victims of this technology is that Stan J. Caterbone is
connected 24/7 with a person who declares that she is Interscope recording artist Sheryl Crow of
Kennett Missouri. Stan J. Caterbone has spent 3 years trying to validate and confirm this person
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.

See attached documents for

more information.

In 2006 or the beginning of 2007 Stan J. Caterbone began his extensive research into
mental telepathy; mind control technologies; remote viewing; and the CIA mind control program
labeled MK ULTRA and it's subprograms.

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FAMILY HISTORY
If you listen to the propaganda machine and the community of Lancaster County,
Pennsylvania, including professionals, the family history of Stan J. Caterbone goes something like
the following:

Father, Samuel Caterbone, Jr., Schizophrenic who ran out on his family
because of nervous breakdowns while trying to run a small dry cleaning
business.

He traveled the world looking for the Blessed Mother Mary and

Space Aliens. He ended up living in government subsidized housing broke


and with a severe mental illness.

Brother, Samuel A. Caterbone, suffered from the very same illness has his
father, Schizophrenia, who finally killed himself trying to live in California.

Brother, Thomas W. Caterbone, suffered from the very same mental illness as
his brother, Stan J., Bipolar Mood Disorder, who ran a lawn business and
finally committed suicide at an early age.

Stan J. Caterbone, suffered from Bipolar Mood Disorder, or Manic Depression and
had a nervous breakdown in 1987 trying to compete in the financial services
industry. When he has his nervous breakdowns, he always threatens to sue
everyone in court and is deeply paranoid in thinking the whole world is
against him. He always spends all of his money during his fits of mania and
has delusions about his success as a businessman.

The Family History was formulated back in the 1960's when Samuel Caterbone, Jr.,
father of Stan J. Caterbone, became engaged in a black budget mind control program that began
during his service in the United States Navy as a radioman and air gunner.

Samuel Caterbone,

Jr., was most likely a direct product of MK ULTRA or one of it's subprograms. His brother, Samuel
A. Caterbone, was most likely part of the LSD experiments of MK ULTRA. Stan J. Caterbone is
most likely part of a program sponsored by the Department of Defense Agencies, such as DARPA
or the Defense Intelligence Agency (DIA). The facts of Stan J. Caterbone's intimate discussions
with both his father and brother over the years before they died, the totality of documents that
were preserved in their estate, including service records; letters; official court papers; high school
documents; and the like - all will prove that they were in fact part of MK ULTRA or one of it's
subprograms.

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The following are the facts and the real record of the family history:

Samuel P. Caterbone, Jr., (Father) served in the Navy from 1943 to 1946 and
graduated with honors from Air Gunners School in Jacksonville, Florida. He was an exceptional
student/athlete while attending Lancaster Catholic High School, participating in the band as well
as sports. He was also his senior class secretary/treasurer. After the Navy, he went on to build a
successful dry cleaning business, which he is credited with inventing a filtration system for the
solvents.

He also developed a very good investment in real estate along the Manheim Pike,

owning several properties. By his own writings and from his personal accounts to me, he was
definitely a remote viewer or data miner for some U.S. Agency with telepathic abilities.

His

viewing is documented to have begun back in the early 1970's. He also suffered from organized
stalking, and was considered an enemy and prisoner of the state. Back in the 1960's, he was a
world traveler, this is documented by his passports. Samuel P. Caterbone, Jr., may have been a
covert carrier for someone in intelligence. Samuel P. Caterbone, Jr., had his mental health history
laced with electro shock therapy. Electro Shock Therapy Experiments is another subprogram of
MK ULTRA. In addition, and especially disturbing is his criminal record with the Lancaster City
Police Department and the Lancaster County Court of Common Pleas.

In 1973 Samuel P.

Caterbone, Jr. was convicted of forging a 2 checks from the Caterbone Cleaners, Inc., checking
account.

The one check to Joe the Motorists Store at the Manor Shopping Center was never

entered into evidence, it was for a total of $70.00. The other check was made out to Lancaster
Attorney James Coho for $200.00 with "divorce proceedings" written in the memo. This was his
only criminal record. Samuel P. Caterbone, Jr., was sentenced to one year probation by President
Judge William Johnstone.

However, on August 29, 1973 after nine months, Judge Johnstone

wrote an ORDER releasing him from probation and ordering him to "leave the vicinity of the
County of Lancaster, Pennsylvania". The President Judge of Lancaster County Court of Common
Pleas literally threw my father out of Lancaster County for forging 2 checks from his own
corporation. In 1987 I was arrested for stealing my own files from my own company, Financial
Management Group, Ltd., You can research the life of Candy Jones and Kate O'Brien to learn more
on this topic. Samuel Caterbone, Jr., has left enough writings and documentation to know that his
life fits the model for targeted individuals, complete with economic ruin, isolation, disenfranchised
from family and friends, and of course a fabricated mental illness history. You can view most of
his record online.

On or about May 18, 2001 Samuel P. Caterbone Jr., finally received an

inheritance from his mother's (Mary Caterbone) estate.

The check was for some $70,000.00.

The estate was probated in November of 2000. Some two weeks later, on Memorial Day Weekend
of 2001, he had called me to come to New York City to help care for him.

He was in perfect

health until this time. In a matter of six (6) weeks he had succumbed to lung cancer. As per
Julianne McKinney,

former intelligence officer for the U.S. Army and victim activist of U.S.

Sponsored Mind Control, the weapons are lethal enough to kill and the one thing that I worry

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about is that of dying of cancer (paraphrase). There is no doubt now that my father's death was
a murder, not natural.

Samuel A. Caterbone, (Brother) served in the United States Air Force in 1968 to 1970.
In 1991, Stan J. Caterbone accused the United States Government of using his brother, Samuel
A. Caterbone for part of the LSD experiments on mind control, or MK ULTRA. A notarized letter of
October 23, 1991 was sent certified mail to the California Attorney General on the subject matter,
with a return letter from the California Attorney General on January 14, 1992.

By his own

admission before his death, Samuel A. Caterbone disclosed to Stan J. Caterbone of the "bad LSD"
trips while in the Air Force. Since his death of December 25, 1984, Stan J. Caterbone and others
questioned the classification of suicide, and made allegations of foul play that was ultimately
responsible for his death. Finally in a meeting in Santa Barbara, California with the Santa Barbara
Public Guardian's Office, an office admitted that the death was more likely due to foul plan than
suicide.

Samuel A. Caterbone was also an exceptional student and athlete while attending

Lancaster Catholic High School.

After playing varsity football as a sophomore, he had an

unfortunate accident while deer hunting the following November.

While in the woods in

Bellefonte, Pennsylvania, his hunting pants caught fire trying to stay warm.

It left him in the

Lancaster General Hospital for months, going through painful skin grafts and isolation.
hunting accident interrupted his athletic career and scared his legs for life.

The

The Schizophrenia

diagnosis was a combination of LSD flashbacks and organized stalking and harassment.

Thomas P. Caterbone, (Brother) had an unfortunate transaction at Fulton Bank that set
a course of action that resulted in a suicide. Although diagnosed with Bipolar Disease and Manic
Depression -- embezzled and extorted monies were most likely the reason for his suicide in 1996.
Fulton Bank was involved in a fraud that took $72,000 from a real estate settlement closing and
lead to his total financial ruin and collapse in June of 1995. The funds were never recovered and
Fulton Bank is a defendant for a wrongful death claim in the United States District Court for the
Eastern District of Pennsylvania in CATERBONE v. Lancaster County Prison, et. al., 05-cv-2288.
FULTON BANK triggered a severe and lethal death blow to Thomas P. Caterbone, and as of this
day has refused to acknowledge any wrongdoing or remorse. Thomas P. Caterbone was also an
exceptional athlete. Playing for Lancaster Catholic High School, Franklin and Marshall College, the
Harrisburg Patriots, and even the Philadelphia Eagles. Tom also coached football at J.P. McCaskey
and Franklin and Marshall College.

Thomas P. Caterbone had a very successful lawn and

landscaping business before joining forces with John DePatto of United Financial Services and
selling residential mortgages.

John DePatto was the former head of Parent Bank, owned by

James Guerin and ISC. Parent Bank, owned by ISC also foreclosed on 2323 New Danville Pike,
Conestoga, Pennsylvania in 1988, which was owned by Stan J. Caterbone. Thousands of dollars
of equity was extorted in the process, despite still being short sold for a profit to Mr. Keith

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Kirchner, an executive of Lancaster Newspapers and former graduate of Lancaster Catholic High
School.

Stan J. Caterbone is a remote viewer (at least one way in), is telepathic, and a
federal whistleblower with an exceptional entrepreneurial record in spite of all of his adversaries
and their assaults. In spite of the U.S. Sponsored mind control and torture, he has endured and
will prevail. Legally, Stan J. Caterbone has been able to preserve his claims, and progress his
legal challenges and claims through both the federal and state court system appearing pro se,
without the aid or expense of additional legal counsel. Some of his claims and briefs will most
likely be landmark decisions in years to come. Stan J. Caterbone was a 2-Sport MVP at Lancaster
Catholic High School, in both football and track. Stan J. Caterbone never received less than a B
grade in his four years of high school and had an 87+ average. Stan J. Caterbone excelled in
computer technologies, taking his first full term course in 1975, while in high school and
continuing into college at Millersville University, graduating with a degree in business
administration in 1980.

Stan J. Caterbone excelled profoundly at building his companies, first

beginning with Financial Management Group, Ltd., then working with Tony Bongiovi of Power
Station Studios and the "Digital Movie"; then building Advanced Media Group, Ltd..

Over the

years, despite the illegal seizures and foreclosures, Stan J. Caterbone has amassed a portfolio of
impressive real estate deals that have always paid off in profits, no matter how or when they
were sold.

The same was true of his businesses.

Financial Management Group, Ltd., was a

$20,000 dollar investment in 1986 and was still sold for approximately $100,000 two years later,
despite the false arrests and the extortion of most of it's real value and equity.

The mental health history and the criminal records were completely fabricated, and a
close review and investigation into the actual court records and hospital records can prove that in
very short fashion.

There are TWO (2) ways to quickly dispute the Mental Health History and

Record:
One - Review the word "Delusional; delusions; etc.,;

every instance of the word

used by mental health professionals, and the false reports by friends and family were associated
with facts, and matters of the official record, the complete opposite of the meaning of the word
"delusional". And they still exist to this very day.
Two - Review the 3 Fabricated Suicide Allegations of the following dates: August
10(?), 1987 at Burdette Tomlin Hospital (Cape May County New Jersey); February 18th(?), 2005
by Kerry Egan and the Southern Regional Police Department; and July 19, 2009 for the 302
Commitment by the Lancaster City Police Department at Lancaster General Hospital.
The Criminal Record is very similar, since 1987 Stanley J. Caterbone has had 31 false
arrests; formal charges and convictions dismissed prior to court proceedings or won on summary
appeals in the County of Lancaster, Pennsylvania; most of which Stan J. Caterbone appearing as

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pro se (representing himself). These have resulted in civil complaints filed in 2008 in CATERBONE
v. The County of Lancaster, Pennsylvania in U.S. District Court for the Eastern District of
Pennsylvania.

THE PUBLIC RECORD


The Public Record is comprised of court filings and exhibits in U.S. Federal Courts;
Pennsylvania State Courts; and the Lancaster County Court of Common Pleas. In all some 40,000
pages of documents are now filed and electronically scanned or microfilmed in prothonotary
offices. In addition in both the U.S. Federal Courts and the Lancaster County Court of Common
Pleas there are more than 11 hours of audio recordings; some 3,000 scanned images; and
several video broadcasts of the ISC News broadcasts all stored on a CD-ROM and filed as an
exhibit to some of the law suits filed by Stan J. Caterbone and Advanced Media Group, as
plaintiffs. Stan J. Caterbone has over 100 court docket sheet numbers in federal, state, and local
courts.

There are also Pennsylvania Unemployment Compensation records; Department of Welfare


and Lancaster County Assistance Office records; Local Real Estate Tax records; Lancaster County
Tax Assessment records; Social Security Administration Benefits records; Lancaster Catholic High
School transcripts; Millersville University transcripts; all for Stan J. Caterbone, in addition to his
court filings.

For Samuel A. Caterbone, my brother, there are United States Air Force service
records; Lancaster Catholic High School transcripts; Millersville University transcripts; Social
Security Administration records; Santa Barbara County Guardian and Public Defender records;
and papers and documents persevered from his estate.

For Samuel P. Caterbone, my father, there are United States Naval records, Lancaster
Catholic High School transcripts; Social Security Administration records; Lancaster County
Assistance Office records; Local Real Estate Tax records; Lancaster County Tax Assessment
records; Samuel Caterbone Cleaners, Inc., corporate records; Real Estate Deeds and Mortgages;
Lancaster County Court of Common Pleas civil and criminal records; and of course papers and
documents persevered from his estate

PUBLIC WEBSITE ADDRESSES OF INTEREST:


www.amgglobalentertainmentgroup.com
www.freedomffchs.com
https://www.scribd.com

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DOCUMENTS ATTACHED FOR REVIEW


** It is important to note that as of this writing, Remote Viewing has recently
been commercialized by corporate America, and certain Fortune 500 companies are
using Remote Viewers as consultants for trend analysis and market forecasts. This is
often the evolution of most technologies born out of the U.S. Department of Defense.
Top Secret experiments and the resulting technological advancements can stay
secretive for so long.

This has recently been used in a NBC story of the Television

drama "Medium" this last season.

On July 9, 2008 I had recorded an AM radio live

broadcast on WHAN Coast to Coast with a guest that was one of the leading Physicist
turned Remote Viewer and expert that testified to this same notion.

Dated: July 28, 2009


Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com
The following are no longer in service:
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

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September 7, 2009

Stan J. Caterbone
Advance Media Group
1250 Fremont Street
Lancaster, Pennsylvania 17603
Derrick Robinson
Freedom From Covert Harassment and Surveillance
P.O. Box 9022
Cincinnati, Ohio 45209
Phone 1-800-571-5618
Fax 1-866-433-4170
email: [email protected]
Re: Is County of Lancaster, Pennsylvania Ground Zero for Organized Stalking and
Covert Surveillance?
Derrick,
My pleasure. Derrick, I was trying to get group rates at our new Lancaster Convention Center
Marriot Hotel last week, just as a little fact finding mission. I have a theory that I would like to
send your way. I thought it would be very fruitful to bring some TI's together for a conference,
unless you think the exposure would be harmful.
I believe that they try new models for harassment; organized stalking and surveillance on me
here in Lancaster. Remember, Lancaster is now one of the most "Watched Communities" in the
country. "With those cameras, the Safety Coalition will operate and monitor 165 cameras across
Lancaster City making Lancaster the most watched city of its size in the nation." See article
attached, Watching you: City to add 105 more cameras.
I believe that Lancaster may be ground zero for some of the models of organized stalking and
harassment that we TI's experience and wanted to get some reaction from Lancaster. Some
history on the Lancaster Convention Center. Dale High of High Industries is the lead partner in our
new convention center/hotel. It is first class all the way. Now in the late 1980's I was a joint
venture partner with Dale High in American Helix Technology Company/Advanced Media Group.
American Helix was a cd manufacturer and I and my company Advanced Media Group was the
CD-ROM division of American Helix. I was one of a handful of CD-ROM manufacturers in the
domestic United States back then. Also in 2005 I filed a civil action against the lead hotel, the
Eden Resort Inn, for trying to block the development and building of the Hotel/Convention Center,
see
attached.
Now, some history about Lancaster and the intelligence community. Back in the 1980's there were
several defense contractors located in Lancaster, the main being International Signal & Control,
which I, of course, blew the whistle on a billion dollar fraud and arms to Iraq.
Click here for an overview of ISC.
Click here to see the Lancaster Newspapers Archives regarding International Signal & Control, or
ISC.
Click here to view the live video of the WGAL-TV News Broadcast of October 31, 1991 the evening
of the ISC indictments. The U.S. Department of Justice and other U.S. Agencies held a Press
Conference in the Philadelphia Federal Courthouse to announce the indictments and $ Billion
Dollar Fraud.

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Click here for Part 2 of the WGAL-TV 8 Broadcast.


Now politically, Lancaster is and has always been predominately Republican. Lancaster is one of
the oldest cities in the country and our courthouse was one of the first in this country. Lancaster
has one of the oldest fraternities of the Masons. Lancaster and the George W.Bush administration
has a close and very "interesting relationship". George H. Bush had a very close relationship with
ISC, and of course the NSA and CIA all had a very "close" relationship with International Signal &
Control, or ISC. The following are some transcripts for Ted Koppel and ABC News Nightline
regarding ISC and Arms to Iraq and the intelligence community. The transcripts are contained in
my Amicus for Case No. 2006-cv-2160 filed in the Eastern District of Michigan, Southern Division.
Now, Robert Gates, presently the Secretary of the United States Defense Department, and his
relationship to Lancaster. First of all, the attached video is the authentic transcript of Robert
Gates' confirmation hearing in September of 1991 for the Director of the Central Intelligence
Agency (CIA). If you fast forward to approximately 9:00:00 you will see the back and forth
questions from Senator Murkowski to Robert Gates regarding the allegations by several members
of the U.S. Senate Select Committee on Intelligence regarding his alleged involvement with ISC
and the Arms deals with Carlos Cardoen and the shipping of cluster bombs through South Africa
and on to Iraq. Of course, he denied all of the allegations.
Robert Gates also has relatives that live in Lancaster County, if fact he attended a wedding here a
few months ago, on May 3, 2009 at St. John Neuman Catholic Church in Manhiem Township,
Lancaster County. His wife has a niece that lives in Manheim Township.
Now, I'll give you the ABC News Nightline May 23, 1991 excerpt regarding ISC and the NSA,
National Security Agency:
"It all started legally, if covertly, back in 1974. That's when the National Security Agency, a supersecret U.S. Intelligence unit asked ISC to help complete project X, a chain of electronic listening
posts based at South Africa's Simonstown Naval Station. South Africa was using these posts to
follow Soviet submarine traffic off of the Cape of Good Hope. To ensure secrecy, ISC and the NSA
made sure shipments could not be tracked back to them. They created a company called Gamma
Systems Associates. In fact, this company was nothing more than a post office box at John F.
Kennedy Airport. Gamma was a cut-out. ... But this sanctioned covert operation was stopped in
1977 when President Carter, a strong opponent of South Africa's apartheid regime, told U.S. firms
to stop any military-related business with Pretoria. But ISC continue shipping electronics, some
civilian, some military, to South Africa. The in the early 1980's, South Africa began to intensify its
efforts at ballistic missile development. For ISC, that was a golden opportunity because on of its
top executives was a man named Clyde Ivey, an American electronics expert who has been the
father of South Africa's missile program. Ivey had extraordinary contacts in the nations defense
structure. Begining in 1984, federal investigators say, senior ISC exeutives, including Ivey, began
regular contacts with CIA officials." You can read the rest. The entire transcript of the May 23,
1991 ABC News/Nightline broadcast.
Now remember, George H. Bush was director of CIA. "He served in this role for 357 days, from
January 30, 1976 to January 20, 1977.[22] The CIA had been rocked by a series of revelations,
including those based on investigations by Senator Frank Church's Committee regarding illegal
and unauthorized activities by the CIA, and Bush was credited with helping to restore the
agency's morale.[23] In his capacity as DCI, Bush gave national security briefings to Jimmy
Carter both as a Presidential candidate and as President-elect, and discussed the possibility of
remaining in that position in a Carter administration[24] but it was not to be," according to
Wikipedia.
Now, lets get to Bobby Ray Inman, former Navy, Director of the National Security Agency (NSA),
former Director of International Signal & Control (ISC), and currently part of the Mind Control
industry. The following appears on the Welcome page of my website:

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"S.A.I.C. involvement in 1993 American Para psychological Association meeting arrangements, via
their 'Cognitive Sciences Laboratory'. Science Applications International Corporation is a big time
defense contractor, has held the largest number of research contracts of any defense contractor.
Bobby Ray Inman (ISC Board of Directors) is on its board of directors, among others."
by John Porter, CIA Program on Mind Control copyright 1996. In 1994, after Bobby Ray Inman
requested to be withdrawn from consideration as Bill Clinton's first Defense Secretary, his critics
speculated that the decision was motivated by a desire to conceal his links to ISC. Inman was a
member of the so-called "shadow board" of the company which was allegedly either negligent or
approved the exports." by Wikipedia on International Signal and Control, (ISC).
Now, lets list the former Navy personnel:
George H. Bush, former President of the United States, former Director of CIA.
James Guerin, President and Founder of International Signal & Control.
Bobby Ray Inman, former Director of the National Security Agency (NSA) and Director of
International Signal & Control, (ISC).
My father, Samuel P. Cateronne, Jr.
His father, Samuel J. Caterbone, Sr.
George Noory, of Coast to Coast Radio (just anecdotal, nothing assumed or alleged).
George W. Bush flew with the Navy.
James Cross
I will Finish later and add more.

Next we get to Jim Guerin's attorney back in 1989 through at least 1992. His name was Joseph
Tate, of Philadelpha. This link will take you to a document regarding Joseph Tate, James Guerin
and Joseph Roda, Esq., of Lancaster, my former attorney who said I fabricated everything back in
1987. The document contains a letter of September 12, 2005 from Special Prosecutor Patrick
Fitzgerald regarding Scooter Libby, Former Vice President Dick Cheney's Chief of Staff. the letter
involves Scooter Libby's Grand Jury Indictment for leaking Covert CIA Operative Valerie Plame
and eventually outing her.
Now in Austin Texas in July of 2005 I was detained by 2 Agents from The Defense Intelligence
Agency. I was merely visiting a Military Museum, that had old and vintage helicopters and
airplanes. near where my brother, Dr. Phillip Caterbone lived. I was visiting on my way to
California. While inside the museum 2 Agents from the Department of Defense Defense
Intelligence Agency escorted me outside to my Honda Oddesey and interrogated me making me
confirm that I was visiting and staying with my brother. They caused a problem for my brother's
Medical Practice by shaking up one of his secretaries. The reviewed my court documents for
CATERBONE v. Lancaster County Prison, et. al., Case No. 2005-cv-0288 filed in the U.S. District
Court for the Eastern District of Pennsylvania. The demanded that I stay off all military bases
before releasing me.
In 2006 I was telepathic with an older NSA executive on many occasions who wanted to meet me
at the Clipper Stadium who told me he wanted to rent a facility in Lancaster for a training
exercise. I told him to to and see Dale High and the High Group for space at the Greenfield
Industrial Park. He said he was retiring and that our discussions were keeping him a few weeks
longer than expected. We had intimate discussions of my history and the Chesapeake Bay Area.
We also discussed Sheryl Crow, and he told me his wife was a fan. I turned him on to her new
album, Wildflower, and he said she liked it. We had to disengage because he was being harassed
by other telepathic assailants.
My former secretary (Susan Bare) at Pflumm Contractors, Inc., where I was controller and was
hired to rescue the company from near bankruptcy in 1993, told me that her husband, Ross Bare,
who grew up just some 10 or so doors from me, worked for the NSA. She disclosed this soon
after I hired her in 1994 or 1995.
I will finish later and add to this allegation. This is a work-in-progress.

Stan J. Caterbone Chapter 11

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Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

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AFFIDAVIT
BE IT ACKNOWLEDGED, that Stanley J. Caterbone, Financial Management Group, Ltd.,
FMG Advisory, and and all affiliates, Pro Financial Group, Ltd., Advanced Media Group, Advanced
Media Group, Ltd., Global Entertainment Group, Ltd., Power Productions I, Radio Science
Laboratories, Ltd., of Lancaster County, Pennsylvania, the undersigned deponent, being of legal
age, does hereby depose and say under oath as follows:

I am now convinced that the situation surrounding my litigation and all factors attributed
to my financial and professional demise bore out of the fact that my Father, Samuel P. Caterbone
was a victim of U.S. Sponsored Mind Control, in the truest sense of the words.

The

whistleblowing activities of 1987 either were a coincidence or I was set up in the very beginning
by Pennsylvania State Senator Gibson Armstrong (former stock broker) in 1983 when he solicited
me to purchase the ISC stock. The preceding would have been the perfect cover story for my
demise; that I was involved in a fraud. Following this analysis would lead one to conclude that
the collateral damage from the activities of my financial ruin always left my fellow businesses in
financial ruin, for example Robert Kauffman and Michael Hartlett, partners, and the shareholders
and affiliated professionals of Financial Management Group, Ltd., Tony Bongiovi and Power Station
Studios, Jim and Lynn Cross as Cross Microwave Consultants, Dave Dering, Scott Robertson, and
James Boyer as American Helix/High Industries, Ralph Mazzochi and Gallo Rosa Restaurant;
Pflumm Contractors, Inc., Mike Caterbone's AIM Wholesaler's Business, Dr. Phillip Caterbone, D.O.
And associated Primary Care Practices of Austin, Texas, Sam Lombardo and Ralph Mazzochi as
S.N. Lombardo Associates for Lancaster Avenue Project, Sheryl Crow Singer Songwriter, my
immediate family, friends, and relatives.

Following this analysis would lead one to concur that the legal and financial remedies
would only be reconciled by the above named parties enjoining my civil litigation. This AFFIDAVIT
is to be considered a legal and binding document to accomplish that remedy.

Stan J. Caterbone Chapter 11

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Date Filed: 11/27/2015

[email protected]
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

ILLEGAL NO TRESPASS NOTICES AGAINST


STAN J. CATERBONE AND ADVANCED MEDIA GROUP
Violations of Public Accommodations Law re Discrimination
and Anti-Trust Violations with False Statements to Authorities
September 27, 2015
Work-In-Progress

Community Stalking and Organized Libel/Slander Campaign Strategy Issue a few every
year to support false arrests; false imprisonment; fabricated mental illness history. In addition to
isolate by prohibiting entrance to major entertainment venues with good live music. Prohibit from
defending against the lies and slander in public to a minimum. Also, destroy history of strong
Christian values and church attendance on a weekly basis by keeping away from church. The
Millersville University Graduate Studies No Trespass Notice was accommodated by the denial of
entitled benefits of LETA Job Training Education Course of the Paralegal program at HACC during
the same time period.

1. David Pflumm Properties by David Pflumm Served by State Constable in June of


2005, original not signed by David Pflumm
2. Eden Resort Inn, by Drew Anthon, Owner Sent via 1st Class Mail in 2005.
3. Barley Snyder, LLC Lancaster Office, by Shawn Long, Esq., Attorney representing
Fulton Bank in 2006 Sent via 1st Class Mail
4. Lancaster Newspapers, Inc., by Steve Weaver, Manager in 2006, No Notice,
Corraborated by Jack Buckwalter, Chairman and CEO and George Warner, Atty with Barley
Snyder, LLC, No Formal Notice, allowed to reenter in 2015.
5. Ruby Tuesday, Manor Shopping Center, Lancaster, by Manager and Lancaster City
Police in 2006, No Formal Notice, allowed to reenter in 2015.
6. Alley Kat Restaurant and Bar, Lancaster by Bartender Ms. Santinello, Brett Stabley,
and Lancaster City Police, No formal Notice in 2006
7. Village Nightclub, Lancaster by George in 2008, No Formal Notice
8. Marion Court Restaurant, Lancaster, by Security Personnel, corroborated by Michael
Geesey, in 2008, No Formal Notice, allowed to enter in 2015.
9. Valentinos Cafe, Lancaster, by Jeanine, Bartender,in 2008, corroborated by John
Valentino, Owner, No Formal Notice
10. Brunswick Hotel, Lancaster, by Staff Employees, in 2008, No Formal Notice
11. Lancaster County Library and Duke Street Business Center, by Executive Director in
March of 2009, by 1st Class Mail
12. Anne Bailey's Restaurant and Bar, Lancaster, by Manager in 2009, No Formal Notice
13. Millersville University Graduate Studies and Millersville University, Millersville, by
Lori Austin, Judicial Affairs, via Certified Mail in June of 2009.

Stan J. Caterbone Chapter 11

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14. TGIF Friday's, Lancaster, by Manager, in January of 2010, No Formal Notice


15. Lucky Dog Restaurant and Bar, Lancaster, by Robert Donnelly, in January of 2010, No
Formal Notice
16. Saint Mary's Catholic Church, Lancaster, by Don Spica, Usher and Lancaster City Police
Department in Feb of 2010, No Formal Notice
17. O'Halloran's Bar, Lancaster, March 25, 2010 by Male Staff Employee. No Formal Notice.
18. Fulton Bank, Fulton Financial Corporation, March 26, 2010 by Susan Follmer, Security
Officer.
19.Tobias Frog Restaurant and Bar, August 8, 2015 by Owner of Establishment, reason
was for complaining of harassment and stalking.
20. Millersville University, July 9, 2015, served notice by Millersville University Police
Chief Pete Anders, for negotiating a civil rights complaint with Assistant to the President,
Debra Hoeckler
21.Village Nightclub, July of 20015, by George..........., Owner, tried to enter several times,
with no reason and no written notice.
22.Lucky Dog Bar, August of 2015, met Abby and Keagan Pflumm outside, went inside and
was told by bartender to leave and not come back.
23.Barley Snyder, LLC Lancaster Office, receptionist Ms. Woods refused to let me
communicate with Attorney George Werner, who in 2011 entered appearance in 05-2288
for Fulton Bank in U.S. District Court.
24.Wennerstrom Property Management Company, June 2015, went to complain
regarding harassment, threats, etc., at 1252 Fremont Street and told to leave building.

Dated: September 27, 2015

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June 19, 2015


PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

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


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Stan J. Caterbone Chapter 11


THE ADVANCED MEDIA GROUP

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Stan J. Caterbone Chapter 11


THE ADVANCED MEDIA GROUP

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January10,
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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

January 26, 2016


Chapter 11 Bankruptcy Filing of January 26, 2016
Part 4 - Identify Legal Actions, Repossessions, and Foreclosures Attachment
ACTIVE COURT CASES Defendants To Numerous To Name (Illegally Locked Out of
Pacer Account to Access Federal Court Records)
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,
06-03401

Stan J. Caterbone, Pro Se Litigant


ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

Stan J. Caterbone Chapter 11

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Tuesday, January 26, 2016

Advanced
Stan
J. Caterbone
Medi Group
Media
Group
Chapter
Press
Press
11Release
Release

Page
Page
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Thursday,
Tuesday,
December
January 26,
17, 2016
2015

[email protected]

https://www.scribd.com/stan5j.5caterbone

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
(717)669-2163

PRESS RELEASE
Saturday, July 4, 2015
Lancaster, Pennsylvania, Advanced Media Group and Stan J. Caterbone Proposed ORGANIZED
STALKING AND DIRECTED ENERGY WEAPONS HARASSMENT BILL to Pennsylvania House of
Representative Mike Sturla (Lancaster, Pennsylvania) and City of Lancaster Mayor Richard Gray.
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.
Stan J. Caterbone has been a victim of organized stalking since 1987 and a victim of electronic and
direct energy weapons since 2005. He has also been telepathic since 2005. Stan J. Caterbone will
help introduce measures that also pertain to remote viewing; mental telepathy and synthetic
telepathy in more detail. Personal accounts of his pain and torture are also filed in various United
States federal and state courts.
We are urging you to contact your local representatives and support our efforts to pass this
legislation. Below you will find the listings of Pennsylvania State Representatives.

For More Information Please Contact Us At: [email protected] and visit our library of
documents at https://www.scribd.com/stan5j.5caterbone
_________________________________________________
The draft of the legislation can be found on the following page:

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Capitol Office
State Capitol
Jefferson City Mo.
573-751-0246

District Office
Second Street
King City Mo.
660-535-6664

May 21, 2009


To Whom It May Concern,

This letter is to ask for your help for the many constituents in our country who are being affected unjustly
by electronic weapons torture and covert harassment groups. Serious privacy rights violation and physical
injuries have been caused by the activities of these groups and their use of so-called non-lethal weapons on
men, women, and even children.
I am asking you to play a role in helping these victims and also stopping the massive movement in the use
of Veri-chip and RFID technologies in tracking Americans.
Long before Veri-chip was known we were testing these devices on Americans, many without their
knowledge or consent.
There are new revelations of the cancer risk besides the privacy and human rights problems with the use of
Veri-chip and RF signals.
I am asking for your help in stopping these abuses and aiding those already affected.

Sincerely,
Rep. Jim Guest

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Organized Stalking and Directed Energy Devices and Weapons Bill

Section 1. Short Title This bill may be cited as the Organized Stalking and Directed Energy Devices and Weapons
Bill
Section 2. Findings and Purpose
A) Findings
1) The constitution guarantees the right of the people to be secure in their person. The Declaration
of Independence asserts as self-evident that all men have certain inalienable rights and that among
these are life, liberty, and the pursuit of happiness.
2) As Supreme Court Justice Louis Brandeis wrote in 1928, the framers of the Constitution sought
"to protect Americans in their beliefs, their thoughts, their emotions, and their sensations." It is for
this reason that they established, as against the government, the right to be let alone as "the most
comprehensive of rights and the right most valued by civilized men.
3) The first principle of the Nuremberg Code states that with respect to human research, the
voluntary consent of the human subject is absolutely essential. The Nuremberg Code further
asserts that such consent must be competent, informed, and comprehending.
4)There are current regulations implementing the obligations of the United States to adhere to
Article 3 of the United Nations Convention Against Torture and other Forms of Cruel, Inhumane or
Degrading Treatment including all terms that are Subject to any reservations, understandings,
declarations, and provisions contained in the United States Senate resolution of ratification of the
Convention.
B) Purpose
To establish regulations and penalties for those who use any type of electronic frequency devices,
directed energy devices, implants, surveillance technology, and directed energy weapon to
purposefully cause any of the following: stalking, harassing, mental or physical harm, injury,
harmful surveillance, torture, diseases, and death to any United States citizen.
Section 3. Organized Stalking
If two or more persons willfully, maliciously, and repeatedly follow or willfully and maliciously
harass another person and who make a credible threat with the intent to place that person in
reasonable fear for his or her safety, or the safety of his or her immediate family, they are guilty of
the crime of organized stalking, punishable by imprisonment in a county jail for not more than one
year, or by not more than one thousand dollars ($ 1,000), or by both that fine and imprisonment,
or by imprisonment in a federal prison.
If two or more persons violate subdivision (a) when there is a temporary restraining order,
injunction, or any other court order in effect prohibiting the behavior described in subdivision (a)
against the same party, they shall be punished by imprisonment in the state prison for two, three,
or four years.
For the purposes of this section, "harass" means engages in a knowing and willful course of
conduct directed at a specific person that seriously alarms, annoys, torments, or terrorizes the
person, or damages his personal property or possessions and that serves no legitimate purpose. *
**

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For the purposes of this section, "course of conduct" means two or more acts occurring over a
period of time, however short, evidencing a continuity of purpose. Constitutionally protected
activity is not included within the meaning of "course of conduct."
For the purposes of this section, "credible threat" means a verbal or written threat, including that
performed through the use of an electronic communication device, or a threat implied by a pattern
of conduct or a combination of verbal, written, or electronically communicated statements and
conduct, made with the intent to place the person that is the target of the threat in reasonable fear
for his or her safety or the safety of his or her family, or personal property or possessions and
made with the apparent ability to carry out the threat so as to cause the person who is the target
of the threat to reasonably fear for his or her safety or the safety of his or her family or personal
property or possessions. It is not necessary to prove that the defendant had the intent to actually
carry out the threat. The present incarceration of a person making the threat shall not be a bar to
prosecution under this section. Constitutionally protected activity is not included within the
meaning of "credible threat."
For purposes of this section, the term "electronic communication device" includes, but is not limited
to, telephones, cellular phones, computers, video recorders, fax machines, pagers or synthetic
telepathy devices.
The sentencing court also shall consider issuing an order restraining the defendant from any
contact with the victim, that may be valid for up to 10 years, as determined by the court. It is the
intent of the Legislature that the length of any restraining order be based upon the seriousness of
the facts before the court, the probability of future violations, and the safety of the victim and his
or her immediate family.
For purposes of this section, "immediate family" means any spouse, parent, child, any person
related by consanguinity or affinity within the second degree, or any other person who regularly
resides in the household, or who, within the prior six months, regularly resided in the household.
Section 4. Punishment for threats
Any person or persons who willfully threatens to commit a crime which will result in death or great
bodily injury to another person, with the specific intent that the statement, made verbally, in
writing, or by means of an electronic communication device, is to be taken as a threat, even if
there is no intent of actually carrying it out, which, on its face and under the circumstances in
which it is made, is so unequivocal, unconditional, immediate, and specific as to convey to the
person threatened, a gravity of purpose and an immediate prospect of execution of the threat, and
thereby causes that person reasonably to be in sustained fear for his or her own safety or for his or
her immediate family's safety, shall be punished by imprisonment in a federal prison not to exceed
one year..
For the purposes of this section, "immediate family" means any spouse, whether by marriage or
not, parent, child, any person related by consanguinity or affinity within the second degree, or any
other person who regularly resides in the household, or who, within the prior six months, regularly
resided in the household.
"Electronic communication device" includes, but is not limited to, telephones, cellular telephones,
computers, video recorders, fax machines, pagers or synthetic telepathy devices
Obscene, threatening or annoying communication
(a) Every person or persons who, with intent to annoy, telephones or makes constant contact by
means of an electronic communication device with another and addresses to or about the other
person any obscene language or addresses to the other person any threat to inflict injury to the
person or any member of his or her family, or any property or personal possessions is guilty of a
misdemeanor. Nothing in this subdivision shall apply to telephone calls or electronic contacts made
in good faith.

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(b) Every person or persons who makes repeated telephone calls or makes repeated contact by
means of an electronic communication device with intent to annoy another person at his or her
residence, is, whether or not conversation ensues from making the telephone call or electronic
contact, is guilty of a misdemeanor. Nothing in this subdivision shall apply to telephone calls or
electronic contacts made in good faith.

(c)
Every person or persons who makes repeated telephone calls or makes repeated contact by
means of an electronic communication device with the intent to annoy another person at his or her
place of work is guilty of a misdemeanor punishable by a fine of not more than one thousand
dollars ($ 1,000), or by imprisonment in a federal prison for not more than one year, or by both
that fine and imprisonment. Nothing in this subdivision shall apply to telephone calls or electronic
contacts made in good faith. This subdivision applies only if one or both of the following
circumstances exist:
(1) There is a temporary restraining order, an injunction, or any other court order, or any
combination of these court orders, in effect prohibiting the behavior described in this section.
(2) The person or persons makes repeated telephone calls or makes repeated contact by means of
an electronic communication device with the intent to annoy another person at his or her place of
work, totaling more than 10 times in a 24-hour period, whether or not conversation ensues from
making the telephone call or electronic contact, and the repeated telephone calls or electronic
contacts are made to the workplace of an adult or fully emancipated minor who is a spouse, former
spouse, cohabitant, former cohabitant, or person with whom the person has a child or has had a
dating or engagement relationship or is having a dating or engagement relationship.
(d) Any offense committed by use of a telephone may be deemed to have been committed where
the telephone call or calls were made or received. Any offense committed by use of an electronic
communication device or medium, including the Internet, may be deemed to have been committed
when the electronic communication or communications were originally sent or first viewed by the
recipient.
(e) Subdivision (a), (b), or (c) is violated when the person acting with intent to annoy makes a
telephone call requesting a return call and performs the acts prohibited under subdivision (a), (b),
or (c) upon receiving the return call.
(f) If probation is granted, or the execution or imposition of sentence is suspended, for any person
or persons convicted under this section, the court may order as a condition of probation that the
person participate in counseling.
(g) For purposes of this section, the term "electronic communication device" includes, but is not
limited to, telephones, cellular phones, computers, video recorders, fax machines, pagers or
synthetic telepathy devices.

Section 5. Assault and battery with an electronic or directed energy weapon


Any person or persons who in the course of organized stalking and harassment, commits an assault
upon the person of another with an unauthorized directed energy weapon shall be punished by
imprisonment in a federal prison for two, three, or four years or by a fine not exceeding ten
thousand dollars ($10,000).
For the purposes of this section the term directed energy weapon is defined as any device that
directs a source of energy (including molecular or atomic energy, subatomic particle beams,
electromagnetic radiation, plasma, or extremely low frequency (ELF) or ultra low frequency (ULF)
energy radiation) against a person or any other unacknowledged or as yet undeveloped means of
inflicting death or injury; or damaging or destroying, a person (or the biological life, bodily health,
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mental health, or physical and economic well-being of a person via land-based, sea-based, or
space-based systems using radiation, electromagnetic, psychotronic, sonic, laser, or other energies
directed at individual persons or targeted populations for the purpose of information war, mood
management, or mind control of such persons or populations; or by expelling chemical or biological
agents in the vicinity of a person.

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Richmond council passes resolution


supporting ban on space-based
weapons

May 20, 2015


FacebookTwitterMore
9 comments
The Richmond City Council passed a resolution Tuesday supporting a ban on space-based
weapons after a lengthy discussion over whether individuals are being psychologically
and physically harmed by exotic government-patented attacks from high in the sky.
Councilmember Jovanka Beckles, a member of the Richmond Progressive Alliance (RPA),
introduced the resolution, saying it begins to address concerns of a Richmond resident
who claims shes been targeted by remote transmission from space-based weaponry.
Others claiming to have suffered physical and psychological attacks traveled from around
the country to speak at Tuesdays council meeting. One speaker claimed to have been
zapped multiple times right before his testimony at council.
The resolution supports the Space Preservation Act and Space Preservation Treaty
permanently banning space-based weapons, even though the legislation first introduced
by Rep. Dennis Kucinich in 2001 has never gained traction in Congress. It appears that
Richmond is the first municipality in the U.S. to take up this lofty issue in more than a
decade. In 2002, the City of Berkeley passed a similar resolution supporting the ban.
Conspiracy theorists believe the resolution is a step toward ensuring secret weaponry
such as chemtrails, which are trails left in the sky by high-flying aircraft that supposedly
emit a chemical or biological agent, can no longer target unwitting citizens. For RPA
members on the council, the resolution is also an anti-war initiative.
RPA members on council, Gayle McLaughlin and Eduardo Martinez, also voted in favor of
the resolution. Vice Mayor Jael Myrick and Councilmember Nat Bates were the final two
yes votes, although Bates claimed he was confused by the discussion.
Im going to support the resolution for the simple reason that we have voted on a lot of

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dumb ideas, Bates said.


Mayor Tom Butt voted no, saying he believes the conspiracy theory behind space-based
weapons is above the heads of city leaders and has taken time away from more pressing
city matters such as the budget deficit, potholes, and crime. Butt has complained in the
past about the RPA attempting to hijack council sessions to push a radical agenda
regardless of whether the issues are important to Richmond residents.
The mayor also pointed to a signed 1967 treaty banning the militarization of space.
The other dissenting vote came from Councilmember Vinay Pimple, who pointed out that
supporting a limitation on the ability of the U.S. to defend against attacks from longrange missiles might not be wise.
Pimple disputed what he called knee-jerk reactions from RPA members who depicted
President Ronald Reagans proposed space-based anti-missile program of 1983, known as
the Star Wars initiative, as inherently evil. The Cold War initiative was intended to
defend against USSR missiles during the Cold War and was shelved not for the projects
moral ambiguity but its perceived effectiveness, Pimple said.
The idea behind Star Wars, Pimple said, is you can knock out someones weapons long
before they enter your air space. The U.S. used Patriot missiles to knock out Iraqi Scuds
targeting Israel and Saudi Arabia, he added.
RPA members, however, argued that this issue is not just about war but about the
individuals in the U.S. who believe governments are using futuristic weapons in space for
the purpose of inflicting pain and mind control. Martinez argued that they may very well
be telling the truth. He recalled a science fiction novel he wrote a paper on during college
that predicted truths 20 years in advance.
Its easy for me to see that things which are wrong can happen because we have the
wrong mindset, Martinez said.
Myrick said he supported the resolution because he doesnt support war.
The weaponization of spaceis something I think is extremely immoral and we should
not be as a nation engaging in, Myrick said. Maybe some wars are unavoidable, that
may be true. But whatever we can do to get our country away from that mindset..thats
why I support this resolution.
Amy Lee Anderson, a targeted individual who brought the matter to Beckles attention,
was thankful that the council took up the issue.
No where in the United States, no targeted individual can get this support, Anderson
said. We just needed one person, one city. Because of that, you all our heroes. We are
dying within because the technology is so sophisticated. Its hard for someone who has
no experience to fathom it, its so sophisticated.
Related posts:

1. Richmond councilmember pushes city resolution banning exotic space-based


weapons

2. Dirty bomb drill in Richmond alarms conspiracy theorists, including Alex Jones
Comments

1. Cmon Richmond Standard.your bias is showing!


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Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163

October 10, 2015

Federal Whistleblower
and
Targeted Individual (Victim)
of U.S. Sponsored Mind Control
Executive Summary
Updated on October 10, 2015

I remain,

Stan J. Caterbone

PRIVILEGED AND CONFIDENTIAL: Stan J. Caterbone, Pro Se Litigant, and the Advanced Media
Group are victims of U.S. Sponsored Mind Control and has been engaged in litigation in both
Federal and State courts seeking financial remedies and a resolution of his Civil Liberties and
his Constitutional Rights. In 1987 Stan J. Caterbone, while managing the financial firm the he
founded, Financial Management Group, Ltd., Stan J. Caterbone became a Federal Whistleblower
when, as a shareholder, he claimed fraud and misconduct within the international arms dealer
and local start-up International Signal & Control, Plc., Some 4 years later ISC was indicted and
plead guilty to the 3rd largest fraud in U.S. history, some $1 Billion and selling arms to Irag via
South Africa. In June of 2015 Stan J. Caterbone became the Movant in the U.S. District Court
for the Eastern District of Pennsylvania case No. 5:14-cv-02559-PD for the Habeus Corpus
Petition of Lisa Michelle Lambert. The case is now before the U.S. Third Circuit Court of
Appeals, Case No. 15-3400.

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ADVANCED MEDIA GROUP


ADVANCED MEDIA GROUP, LTD.,
&
STAN J. CATERBONE
Federal Whistleblower (Federal False Claims Act Violation in 1987 re ISC)
Targeted Individual of U.S. Sponsored Mind Control
and Directed Energy Devices and Weapons

EXECUTIVE SUMMARY
copyright 2009

Ya know what, I am beginning to analyze this War on Terror and am having difficulty understanding
it all. To me the most effective fundamental fight against Extreme Terrorism is to reduce the motive; or the
Hatred Against America. No one seems to talk about that subject. How do we reduce that Hatred Towards
America and the West?
See, from my perspective, my situation is very disturbing. I mean we have the United States Torturing Me, a
U.S. Citizen for no good or valid reason. I have warned EVERYONE about using my situation to feed this
HATRED towards America.
Low and behold a week or so ago I have had several Muslims sign up as Followers to my
www.scribd.com/amgroup01 online webspace, which I use to post documents. The following being the most
prominent IKWAN Scope, "The Largest Muslim Brotherhood's Scope on the Web":
http://ikhwanscope.net/main/
There have also been several Muslim individuals who signed up as followers around the same time, a week
or so ago. They have also signed up as followers on my www.twitter.com/StanCaterbone webspace.
You must understand, I am a VERY Patriotic Person and live a very patriotic life - I believe in the
U.S. Constitution and Our Founding Father's vision for America; I support Our Military and our
Troops; I believe in the Rule of Law; I am a Practicing Catholic, and have been my whole life; I
Believe in the TRUTH; I believe in Right v. Wrong; Good v. Evil; and finally I believe in God. What
do you believe in?
Posted on the Yahoo Fulton Bank Stock Message Board, January 7, 2010

Date Updated:

October 10, 2015

Date Completed:
Date Initiated:

July 28, 2009


July 8, 2009

Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com

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Saturday,
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UDATE OF SEPTEMBER 27, 2015


In 2015 Stan J. Caterbone and Advanced Media Group had to again return to local,
state, and federal courts. Again the obstruction of due process, the local gang stalking, torture,
trespass, thefts, and the like began in earnest.

From the fabricated Petition for Involuntary

Psychiatric Commitment of April 2010 by Detective Clark Bearinger, until January of 2015, Stan J.
Caterbone and Advanced Media Group had been in seclusion and in a state of rehabilitation and
rest due to the forced medication by Fairmount Behavioral Hospital and Dr. Silvia Gratz.

The

psychotropic drugs reduce your motor skills and put you in an extreme state of confusion.

By

the

end

of

the

summer

of

2010

every

social

media

site,

including

the

www.amgglobalentertainmentgroup.com website was taken off-line due to the intimidation and


coercion by Detective Clark Bearinger.

In May Stan J. Caterbone had again endured the Attacks and Torture from the
employees of the Lancaster County Courthouse, and the Lancaster County Government Building.
Then soon after the Residents of Lancaster County engaged in a massive Organized Stalking
Campaign. In addition an extreme Computer Hacking Campaign was initiated and executed in
an effort to again SILENCE Stan J. Caterbone and Advanced Media Group.

And Again, the

Lancaster City Police Department took the lead role. As usual Stan J. Caterbone summoned state
and federal authorities for help and assistance, including direct communications with the White
House, the Federal Bureau of Investigation, the Pennsylvania Attorney General's Office and
Kathleen Kane, The Pennsylvania State Police, the Pennsylvania General Assembly, several U.S.
Congressmen, and of course the Lancaster County District Attorney's Office.

Since August 1,

2015 the Geek Squad had performed diagnostics and repairs six (6) times due to computer
hacking. On at least 2 occasions the entire hard drive had to be wiped clean and restored.

On June 23, 2015 Stan J. Caterbone was named MOVANT in the 2014 Habeus
Corpus Petition by Lisa Michelle Lambert, Case No. 14:02559 in the U.S. District Court
for the Eastern District of Pennsylvania after filing an Amicus on the case. Judge Paul
Diamond was presiding since it's filing in 2014. However, the Petition was not able to
be granted and the case was stalled on jurisdictional law based on new and compelling
evidence, or lack there of.

The Amicus was filed to cure that deficiency with direct

witness corroboration to the Prosecutorial Misconduct and Innocence of Lisa Michelle


Lambert.

In fact a working theory was filed that suggested that the East Lampeter

Police Department engaged in a strategy of Entrapment that lead to the unfortunate


murder in 1991. This, would of course, allow a wrongful death claim to be filed by the
Show family. The case is now before the Third Circuit Court of Appeals, Case No. 153400. There are three (3) questions that the Third Circuit may rule on; whether to free

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Lisa Michelle Lambert, or grant her her Habeus Corpus, and whether to grant Summary
Judgment to Stan J. Caterbone in all civil actions in both state and federal courts.

Two weeks later, on July 9, 2015, Detective Clark Bearinger filed another fabricated
Petition for Involuntary Psychiatric Commitment. And again Stan J. Caterbone endured 7 days in
the Fairmount Behavioral Hospital in Philadelphia.

However, this time there was

no

MANDATORY Treatment Program Ordered by the Lancaster County Court of Common Pleas.
So Stan J. Caterbone continued filing in the courts for assistance and resolution. In August, in a
desperate attempt to stop the local torture campaign, another Emergency Injunction was filed in
the Lancaster County Court of Common Pleas. On August 6, 2015 Stan J. Caterbone went so far
as to undertake a Professional Polygraph Test administered by Bonnie Lee of Polygraph Solutions
of West Chester, Pennsylvania. The test ended up being 4 grueling hours of torture and a scam of
$600.00.

On July 9th , 2015 a Private Criminal Complaint was filed against Detective Clark Bearinger,
Officer Williams, Officer Binderup, and 2 unidentified patrolman.

The Complaint contained

allegations of torture and abuse at every moment of contact.

The Lancaster City Police

Department were so desperate for retaliation from the Amicus filing in the Lisa Michelle Lambert
case, that they actually broke the door in of 1250 Fremont Street in order to execute the
fabricated 302 petition. The Complaint was denied by the Lancaster County District Attorney on
August 8th . The Complaint is now under a Petition for Review by the Lancaster County Court of
Common Pleas.

On August 17, 2015 another Emergency Injunction for Relief was filed in the Lancaster
County Court of Common Pleas, Case No. 15-06985. The Injunction was heard by Judge Jeffrey
Wright, who dismissed it as frivolous. An appeal, MD 1561, is pending in the Superior Court of
Pennsylvania.

In addition, by September 26, 2015 Stan J. Caterbone had been granted Electronic Filing
Privileges in the local, state, and federal courts. This should alleviate the fraud and abuses of the
U.S. Postal Service and the computer hackers.

In 2015 Stan J. Caterbone identifies a trend that suggests that the Lancaster County
community-at-large was subject to either community targeting or community hypnosis.

The

community targeting theory is supported by experts Jullianne McKinney, Cheryl Welsh, and Dr.
John Hall. The community hypnosis theory is supported by direct personal relationships with the
Amazing Kreskin, Samuel P. Caterbone and Stan J. Caterbone.

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In September of 2015 Stan J. Caterbone begins to digitize a library of approximately 45


audio cassette tapes from his father, Samuel P. Caterbone. The tapes range in date from 1971 to
1996. The tapes prove an identical targeting campaign against both Samuel P. Caterbone and
Stan J. Caterbone.

In addition the tapes confirm that Steven P. Caterbone, brother of Stan J.

Caterbone, was most likely a target dating back to the early 1960's. In addition, the death of
Samuel P. Caterbone on July 20, 2001 was confirmed to be that of murder, not natural causes.

In the early 1990's Dr. Phillip Caterbone, brother, had been solicited by the National
Institute of Health, or NIH in Washington, D.C., for a fellowship to research and catalog a study to
find a genetic marker for depression in the CATERBONE family.

Phil interviewed all living

descendants and relatives of my father, Samuel P. Caterbone, Jr., and took blood samples. I am
alleging that this was a deliberate act to continue the cover story of mental illness to distract and
provide plausible deniability for any linkage to U.S. Sponsored Mind Control.

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HISTORY
In 1987 Stan J. Caterbone went public with allegations of fraud within International Signal
and Control, or ISC as they were commonly referred.

After discussions with ISC and United

Chem Con officials (an ISC/James Guerin straw company), and as a shareholder of record since
1983 of ISC, Stan J. Caterbone had a meeting with an ISC executive on June 23, 1987, which
resulted in a 22 year legal odyssey. The discussions involved a joint venture with his company,
Financial Management Group, Ltd., or FMG, Ltd., but ended in disclosure of his recent public
allegations of fraud. Four years later, ISC founder and chairman James Guerin, and other officials
and companies pleaded guilty to a $1 Billion Dollar Fraud and export violations including the
selling of arms through South Africa to Iraq and Sadaam Hussein.

However, money, power,

influence and public corruption had been used to cover-up the activities and Federal False Claims
Act violations of Stan J. Caterbone for the next eighteen years. There ensued a total blockade of
all United States Courts for all redress and remedy available in accordance with federal, state, and
local laws.

This included recovery of his business interests; intellectual property; real estate;

personal and business real property; his unblemished and impressive reputation; and his most
valuable asset - the ability to produce income. This might be legally referred to as the Right-ToWork under federal statutes.

Notwithstanding, Stan J. Caterbone has never made a bad

investment or developed a business that did not make a profit over the next 22 years.

This

includes two real estate properties that were illegally seized through foreclosure proceedings.

Since 1987 Stan J. Caterbone has been a prisoner and enemy of the state.

ISC was a

Department of Defense (DOD) Contractor and a partner with United States Intelligence Agencies
since it's beginings in the early 1970's. One of it's first contracts was Project X with the National
Security Agency or NSA of Ft. Meade, Maryland.
In summary, the following are facts and part of the public record regarding
SIGNAL & CONTROL OR ISC:

INTERNATIONAL

Once the third (3rd) largest employer in the County of Lancaster, Pennsylvania, with
over 5,000 employees.

James Guerin, founder and CEO was once the largest philanthropist to charitable
organizations in the County of Lancaster, Pennsylvania.

The ISC/Ferranti Scandal was the third (3) largest white-collar fraud within the United
States as of 1992.

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The following are some of the public officials and politicians associated with ISC:
George H.W. Bush, former U.S. President, and Director of the Central Intelligence
Agency (CIA).

Robert Gates, former Director of the Central Intelligence Agency (CIA) and current
Secretary of Defense.

Bobby Ray Inman, former Board of Directors if ISC, former Director of the NSA, and
currently associated and directly involved with Mind Control Research organizations.

Alexander Haig, former U.S. Secretary of State, and ISC lobbyist and Board of
Directors?

Joseph McDade, former Pennsylvania House of Representative and Chair of the


Appropriations Committee who was later investigated for the United Chem Con
scandal.

Carlos Cardoen/Cardoen Industries, a joint venture partner with ISC and arms
merchant for the cluster bomb who eventually sold to Iraq and other Middle Eastern
Countries under U.S. sanctions.

ISC was credited with the design of the cluster bomb, and has patents filed in the U.S.
Patent Office.

In 1987 ISC completed the merger with the 3rd largest defense contractor of Great
Britain, Ferranti International; who paid $1 billion dollars for ISC and all of it's
subsidiaries.

ABC News/Financial Times aired 3 episodes on ABC Nightline with Ted Koppel
regarding the ISC/CIA defense weapons; technologies; and cluster bombs to Iraq
story and lead into the allegations that then nominee for the Director of CIA Robert
Gates was involved with ISC and the selling of arms to Iraq.

ABC News 20/20 aired a story on the ISC/CIA efforts to sell cluster bombs to Saadam
Hussein and Iraq on February 1, 1991 days after the start of the Persian Gulf War I,
with the initial bombing raid destroying a cluster bomb factory built in Iraq by
Carlos Cardoen.

On July 1st and 2nd of 1987 Stan J. Caterbone solicited the legal counsel of Lancaster
Attorney Joseph Roda for counsel regarding, FMG, Ltd., International Signal &
Control (ISC); Commonwealth Bank, etc., and was billed for his services. Joseph
Roda did absolutely nothing but refute Stan J. Caterbone's claims and would not
believe him.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Lancaster Attorney Joseph Roda represented William Clark, ISC's in-house legal
counsel, and never mentioned any conflict to Stan J. Caterbone in 1987.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas), James


Guerin deposited $1.75 million dollars into an escrow account at Fulton Bank,
Lancaster, County.

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In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Christopher Underhill of Harman, Underhill & Brubaker, represented James
Guerin. In 2005 Christopher Underhill represented the Manheim Township Police
Department (05-cv-2288 U.S. District Court for the Eastern District of
Pennsylvania) CATERBONE v. Lancaster County Prison, et. al.,.

In Clark v. Guerin (CI-1990-0074 Lancaster County Court of Common Pleas),


Philadelphia Attorney Joseph Tate represented James Guerin and ISC, and in 2007
Joseph Tate represented Scooter Libby during his federal prosecution by U.S.
Special Prosecutor Fitzpatrick.

THE MANIFEST OF A COVER-UP


Not only did the allegations of fraud within ISC have to be silenced at a time when merger
negotiations were ongoing with Ferranti, but all of the fraud; extortion; public corruption;
burglaries; civil rights violations; anti-trust and intellectual property right violations; lender
liability torts; false arrests; false imprisonments; as well as other civil and criminal activities had
to be covered up and buried in bureaucratic red tape.
uncovered and discovered to this day.

Information and findings are still being

Contrary to popular belief, up until 1996 a grand jury

investigation into ISC was still ongoing. It is not known whether it has closed or not. All of these
activates constitute a RICO crime due to the pattern and organization of the perpetrators. The
pattern and source of the activities can be traced back to 1987, with subgroups changing over
time, but still engaging in the same practices. The following plan of action was followed in order
to perpetrate the cover-up:

Totally discredit Stan(ley) J. Caterbone and any and all allegations in every way
possible.

Fabricate a history of mental illness.


Fabricate a criminal record.
Attach his character and honesty with rumors and propaganda.
Extort and maintain his net worth to $ zero or load him with debts.
Keep him out of any profession and or occupation when and where possible.
Totally isolate him and disenfranchise him from his friends, colleagues, and family
into a life of solitaire.

Somehow persuade the community of Lancaster County to buy into this plan of
action through money, favors, etc.,

Always keep attorneys and anyone remotely involved with the legal community
away at times when efforts for justice are pursued.

When attempts to enter the U.S. legal system arise, isolate, harass, and extort
any monies and/or possessions of value.

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Change the history of events and the truth.


THE COURTS AND THE UNITED STATES LEGAL SYSTEM
For 18 years, (from 1987 until 2005) it has always been fairly easy to keep these issues
from court dockets and judges.

During these years Stan J. Caterbone had solicited at least

twenty attorneys, some from large firms with national recognition in their respective fields of
specialties. Attorneys from New York City to Santa Barbara and San Diego California were visited
and consulted as well as a group of ex FBI agents who specialized in white collar crime that are
now globally recognized. However, the money and influence of persons and entities that wanted
these issues silence always prevailed. The issues were so complex and convoluted, and involved
such high profile politicians and U.S. agencies, it was far easier to state that there was no case, or
their were no claims that would result in remedy or redress. Between the Republican Party and
the Department of Defense, the CIA and the NSA, there was not an attorney that could not be
influenced. The obstruction of justice and due process in this case is most likely unprecedented in
nature and in malice.

However in 2005 that all changed when Stan J. Caterbone appeared as a pro se litigant
representing himself, without any counsel, in the United States District Court for the Eastern
District of Pennsylvania in CATERBONE v. The Lancaster County Prison, et. al., or case no. 05-cv2288.

This case is still not settled and has been withdrawn by plaintiff Stan J.

Caterbone in October of 2008 after a successful ruling in the U.S. Third Circuit Court of
Appeals (07-4474) in September of 2008. The case will be continued upon the security
of evidence and the cease and desist of obstruction of justice and due process. On May
16, 2005 at the Federal Courthouse in Philadelphia, Stan J. Caterbone filed the case under seal.
One week later in the United States Bankruptcy Court for Eastern Pennsylvania in Reading,
Pennsylvania, again appearing as pro se, Stan J. Caterbone filed a petition for protection under
the Chapter 11 Bankruptcy Code, in case no. 05-23059.

These acts of entering the United States legal system with these issues triggered yet
another round of attempts to keep these cases from the courts and judges - Organized Stalking
with Directed Energy Devices and Weapons, built on a foundation of mental telepathy or total
Mind Control.

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REMOTE VIEWING; ORGANIZED STALKING; DIRECTED ENERGY DEVICES AND


WEAPONS.
Organized stalking and harassment began in 1987 following the public allegations of fraud
within ISC. This organized stalking and harassment was enough to drive an ordinary person to
suicide. As far back as the late 1980's Stan J. Caterbone knew that his mind was being read, or
"remotely viewed". This was verified and confirmed when information only known to him, and
never written, spoken, or typed, was repeated by others. In 1998, while soliciting the counsel of
Philadelphia attorney Christina Rainville, (Rainville represented Lisa Michelle Lambert in the Laurie
Show murder case), someone introduced the term remote viewing through an email. That was
the last time it was an issue until 2005. The term was researched, but that was the extent of the
topic.

Remote Viewers may have attempted to connect in a more direct and continuous way

without success.

In 2005 the U.S. sponsored mind control turned into an all-out assault of mental
telepathy; synthetic telepathy; 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 Stan J. Caterbone with mental telepathy. The
main difference opposed to most other victims of this technology is that Stan J. Caterbone is
connected 24/7 with a person who declares that she is Interscope recording artist Sheryl Crow of
Kennett Missouri. Stan J. Caterbone has spent 3 years trying to validate and confirm this person
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.

See attached documents for

more information.

In 2006 or the beginning of 2007 Stan J. Caterbone began his extensive research into
mental telepathy; mind control technologies; remote viewing; and the CIA mind control program
labeled MK ULTRA and it's subprograms.

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FAMILY HISTORY
If you listen to the propaganda machine and the community of Lancaster County,
Pennsylvania, including professionals, the family history of Stan J. Caterbone goes something like
the following:

Father, Samuel Caterbone, Jr., Schizophrenic who ran out on his family
because of nervous breakdowns while trying to run a small dry cleaning
business.

He traveled the world looking for the Blessed Mother Mary and

Space Aliens. He ended up living in government subsidized housing broke


and with a severe mental illness.

Brother, Samuel A. Caterbone, suffered from the very same illness has his
father, Schizophrenia, who finally killed himself trying to live in California.

Brother, Thomas W. Caterbone, suffered from the very same mental illness as
his brother, Stan J., Bipolar Mood Disorder, who ran a lawn business and
finally committed suicide at an early age.

Stan J. Caterbone, suffered from Bipolar Mood Disorder, or Manic Depression and
had a nervous breakdown in 1987 trying to compete in the financial services
industry. When he has his nervous breakdowns, he always threatens to sue
everyone in court and is deeply paranoid in thinking the whole world is
against him. He always spends all of his money during his fits of mania and
has delusions about his success as a businessman.

The Family History was formulated back in the 1960's when Samuel Caterbone, Jr.,
father of Stan J. Caterbone, became engaged in a black budget mind control program that began
during his service in the United States Navy as a radioman and air gunner.

Samuel Caterbone,

Jr., was most likely a direct product of MK ULTRA or one of it's subprograms. His brother, Samuel
A. Caterbone, was most likely part of the LSD experiments of MK ULTRA. Stan J. Caterbone is
most likely part of a program sponsored by the Department of Defense Agencies, such as DARPA
or the Defense Intelligence Agency (DIA). The facts of Stan J. Caterbone's intimate discussions
with both his father and brother over the years before they died, the totality of documents that
were preserved in their estate, including service records; letters; official court papers; high school
documents; and the like - all will prove that they were in fact part of MK ULTRA or one of it's
subprograms.

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The following are the facts and the real record of the family history:

Samuel P. Caterbone, Jr., (Father) served in the Navy from 1943 to 1946 and
graduated with honors from Air Gunners School in Jacksonville, Florida. He was an exceptional
student/athlete while attending Lancaster Catholic High School, participating in the band as well
as sports. He was also his senior class secretary/treasurer. After the Navy, he went on to build a
successful dry cleaning business, which he is credited with inventing a filtration system for the
solvents.

He also developed a very good investment in real estate along the Manheim Pike,

owning several properties. By his own writings and from his personal accounts to me, he was
definitely a remote viewer or data miner for some U.S. Agency with telepathic abilities.

His

viewing is documented to have begun back in the early 1970's. He also suffered from organized
stalking, and was considered an enemy and prisoner of the state. Back in the 1960's, he was a
world traveler, this is documented by his passports. Samuel P. Caterbone, Jr., may have been a
covert carrier for someone in intelligence. Samuel P. Caterbone, Jr., had his mental health history
laced with electro shock therapy. Electro Shock Therapy Experiments is another subprogram of
MK ULTRA. In addition, and especially disturbing is his criminal record with the Lancaster City
Police Department and the Lancaster County Court of Common Pleas.

In 1973 Samuel P.

Caterbone, Jr. was convicted of forging a 2 checks from the Caterbone Cleaners, Inc., checking
account.

The one check to Joe the Motorists Store at the Manor Shopping Center was never

entered into evidence, it was for a total of $70.00. The other check was made out to Lancaster
Attorney James Coho for $200.00 with "divorce proceedings" written in the memo. This was his
only criminal record. Samuel P. Caterbone, Jr., was sentenced to one year probation by President
Judge William Johnstone.

However, on August 29, 1973 after nine months, Judge Johnstone

wrote an ORDER releasing him from probation and ordering him to "leave the vicinity of the
County of Lancaster, Pennsylvania". The President Judge of Lancaster County Court of Common
Pleas literally threw my father out of Lancaster County for forging 2 checks from his own
corporation. In 1987 I was arrested for stealing my own files from my own company, Financial
Management Group, Ltd., You can research the life of Candy Jones and Kate O'Brien to learn more
on this topic. Samuel Caterbone, Jr., has left enough writings and documentation to know that his
life fits the model for targeted individuals, complete with economic ruin, isolation, disenfranchised
from family and friends, and of course a fabricated mental illness history. You can view most of
his record online.

On or about May 18, 2001 Samuel P. Caterbone Jr., finally received an

inheritance from his mother's (Mary Caterbone) estate.

The check was for some $70,000.00.

The estate was probated in November of 2000. Some two weeks later, on Memorial Day Weekend
of 2001, he had called me to come to New York City to help care for him.

He was in perfect

health until this time. In a matter of six (6) weeks he had succumbed to lung cancer. As per
Julianne McKinney,

former intelligence officer for the U.S. Army and victim activist of U.S.

Sponsored Mind Control, the weapons are lethal enough to kill and the one thing that I worry

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about is that of dying of cancer (paraphrase). There is no doubt now that my father's death was
a murder, not natural.

Samuel A. Caterbone, (Brother) served in the United States Air Force in 1968 to 1970.
In 1991, Stan J. Caterbone accused the United States Government of using his brother, Samuel
A. Caterbone for part of the LSD experiments on mind control, or MK ULTRA. A notarized letter of
October 23, 1991 was sent certified mail to the California Attorney General on the subject matter,
with a return letter from the California Attorney General on January 14, 1992.

By his own

admission before his death, Samuel A. Caterbone disclosed to Stan J. Caterbone of the "bad LSD"
trips while in the Air Force. Since his death of December 25, 1984, Stan J. Caterbone and others
questioned the classification of suicide, and made allegations of foul play that was ultimately
responsible for his death. Finally in a meeting in Santa Barbara, California with the Santa Barbara
Public Guardian's Office, an office admitted that the death was more likely due to foul plan than
suicide.

Samuel A. Caterbone was also an exceptional student and athlete while attending

Lancaster Catholic High School.

After playing varsity football as a sophomore, he had an

unfortunate accident while deer hunting the following November.

While in the woods in

Bellefonte, Pennsylvania, his hunting pants caught fire trying to stay warm.

It left him in the

Lancaster General Hospital for months, going through painful skin grafts and isolation.
hunting accident interrupted his athletic career and scared his legs for life.

The

The Schizophrenia

diagnosis was a combination of LSD flashbacks and organized stalking and harassment.

Thomas P. Caterbone, (Brother) had an unfortunate transaction at Fulton Bank that set
a course of action that resulted in a suicide. Although diagnosed with Bipolar Disease and Manic
Depression -- embezzled and extorted monies were most likely the reason for his suicide in 1996.
Fulton Bank was involved in a fraud that took $72,000 from a real estate settlement closing and
lead to his total financial ruin and collapse in June of 1995. The funds were never recovered and
Fulton Bank is a defendant for a wrongful death claim in the United States District Court for the
Eastern District of Pennsylvania in CATERBONE v. Lancaster County Prison, et. al., 05-cv-2288.
FULTON BANK triggered a severe and lethal death blow to Thomas P. Caterbone, and as of this
day has refused to acknowledge any wrongdoing or remorse. Thomas P. Caterbone was also an
exceptional athlete. Playing for Lancaster Catholic High School, Franklin and Marshall College, the
Harrisburg Patriots, and even the Philadelphia Eagles. Tom also coached football at J.P. McCaskey
and Franklin and Marshall College.

Thomas P. Caterbone had a very successful lawn and

landscaping business before joining forces with John DePatto of United Financial Services and
selling residential mortgages.

John DePatto was the former head of Parent Bank, owned by

James Guerin and ISC. Parent Bank, owned by ISC also foreclosed on 2323 New Danville Pike,
Conestoga, Pennsylvania in 1988, which was owned by Stan J. Caterbone. Thousands of dollars
of equity was extorted in the process, despite still being short sold for a profit to Mr. Keith

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Kirchner, an executive of Lancaster Newspapers and former graduate of Lancaster Catholic High
School.

Stan J. Caterbone is a remote viewer (at least one way in), is telepathic, and a
federal whistleblower with an exceptional entrepreneurial record in spite of all of his adversaries
and their assaults. In spite of the U.S. Sponsored mind control and torture, he has endured and
will prevail. Legally, Stan J. Caterbone has been able to preserve his claims, and progress his
legal challenges and claims through both the federal and state court system appearing pro se,
without the aid or expense of additional legal counsel. Some of his claims and briefs will most
likely be landmark decisions in years to come. Stan J. Caterbone was a 2-Sport MVP at Lancaster
Catholic High School, in both football and track. Stan J. Caterbone never received less than a B
grade in his four years of high school and had an 87+ average. Stan J. Caterbone excelled in
computer technologies, taking his first full term course in 1975, while in high school and
continuing into college at Millersville University, graduating with a degree in business
administration in 1980.

Stan J. Caterbone excelled profoundly at building his companies, first

beginning with Financial Management Group, Ltd., then working with Tony Bongiovi of Power
Station Studios and the "Digital Movie"; then building Advanced Media Group, Ltd..

Over the

years, despite the illegal seizures and foreclosures, Stan J. Caterbone has amassed a portfolio of
impressive real estate deals that have always paid off in profits, no matter how or when they
were sold.

The same was true of his businesses.

Financial Management Group, Ltd., was a

$20,000 dollar investment in 1986 and was still sold for approximately $100,000 two years later,
despite the false arrests and the extortion of most of it's real value and equity.

The mental health history and the criminal records were completely fabricated, and a
close review and investigation into the actual court records and hospital records can prove that in
very short fashion.

There are TWO (2) ways to quickly dispute the Mental Health History and

Record:
One - Review the word "Delusional; delusions; etc.,;

every instance of the word

used by mental health professionals, and the false reports by friends and family were associated
with facts, and matters of the official record, the complete opposite of the meaning of the word
"delusional". And they still exist to this very day.
Two - Review the 3 Fabricated Suicide Allegations of the following dates: August
10(?), 1987 at Burdette Tomlin Hospital (Cape May County New Jersey); February 18th(?), 2005
by Kerry Egan and the Southern Regional Police Department; and July 19, 2009 for the 302
Commitment by the Lancaster City Police Department at Lancaster General Hospital.
The Criminal Record is very similar, since 1987 Stanley J. Caterbone has had 31 false
arrests; formal charges and convictions dismissed prior to court proceedings or won on summary
appeals in the County of Lancaster, Pennsylvania; most of which Stan J. Caterbone appearing as

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pro se (representing himself). These have resulted in civil complaints filed in 2008 in CATERBONE
v. The County of Lancaster, Pennsylvania in U.S. District Court for the Eastern District of
Pennsylvania.

THE PUBLIC RECORD


The Public Record is comprised of court filings and exhibits in U.S. Federal Courts;
Pennsylvania State Courts; and the Lancaster County Court of Common Pleas. In all some 40,000
pages of documents are now filed and electronically scanned or microfilmed in prothonotary
offices. In addition in both the U.S. Federal Courts and the Lancaster County Court of Common
Pleas there are more than 11 hours of audio recordings; some 3,000 scanned images; and
several video broadcasts of the ISC News broadcasts all stored on a CD-ROM and filed as an
exhibit to some of the law suits filed by Stan J. Caterbone and Advanced Media Group, as
plaintiffs. Stan J. Caterbone has over 100 court docket sheet numbers in federal, state, and local
courts.

There are also Pennsylvania Unemployment Compensation records; Department of Welfare


and Lancaster County Assistance Office records; Local Real Estate Tax records; Lancaster County
Tax Assessment records; Social Security Administration Benefits records; Lancaster Catholic High
School transcripts; Millersville University transcripts; all for Stan J. Caterbone, in addition to his
court filings.

For Samuel A. Caterbone, my brother, there are United States Air Force service
records; Lancaster Catholic High School transcripts; Millersville University transcripts; Social
Security Administration records; Santa Barbara County Guardian and Public Defender records;
and papers and documents persevered from his estate.

For Samuel P. Caterbone, my father, there are United States Naval records, Lancaster
Catholic High School transcripts; Social Security Administration records; Lancaster County
Assistance Office records; Local Real Estate Tax records; Lancaster County Tax Assessment
records; Samuel Caterbone Cleaners, Inc., corporate records; Real Estate Deeds and Mortgages;
Lancaster County Court of Common Pleas civil and criminal records; and of course papers and
documents persevered from his estate

PUBLIC WEBSITE ADDRESSES OF INTEREST:


www.amgglobalentertainmentgroup.com
www.freedomffchs.com
https://www.scribd.com

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DOCUMENTS ATTACHED FOR REVIEW


** It is important to note that as of this writing, Remote Viewing has recently
been commercialized by corporate America, and certain Fortune 500 companies are
using Remote Viewers as consultants for trend analysis and market forecasts. This is
often the evolution of most technologies born out of the U.S. Department of Defense.
Top Secret experiments and the resulting technological advancements can stay
secretive for so long.

This has recently been used in a NBC story of the Television

drama "Medium" this last season.

On July 9, 2008 I had recorded an AM radio live

broadcast on WHAN Coast to Coast with a guest that was one of the leading Physicist
turned Remote Viewer and expert that testified to this same notion.

Dated: July 28, 2009


Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com
The following are no longer in service:
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

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September 7, 2009

Stan J. Caterbone
Advance Media Group
1250 Fremont Street
Lancaster, Pennsylvania 17603
Derrick Robinson
Freedom From Covert Harassment and Surveillance
P.O. Box 9022
Cincinnati, Ohio 45209
Phone 1-800-571-5618
Fax 1-866-433-4170
email: [email protected]
Re: Is County of Lancaster, Pennsylvania Ground Zero for Organized Stalking and
Covert Surveillance?
Derrick,
My pleasure. Derrick, I was trying to get group rates at our new Lancaster Convention Center
Marriot Hotel last week, just as a little fact finding mission. I have a theory that I would like to
send your way. I thought it would be very fruitful to bring some TI's together for a conference,
unless you think the exposure would be harmful.
I believe that they try new models for harassment; organized stalking and surveillance on me
here in Lancaster. Remember, Lancaster is now one of the most "Watched Communities" in the
country. "With those cameras, the Safety Coalition will operate and monitor 165 cameras across
Lancaster City making Lancaster the most watched city of its size in the nation." See article
attached, Watching you: City to add 105 more cameras.
I believe that Lancaster may be ground zero for some of the models of organized stalking and
harassment that we TI's experience and wanted to get some reaction from Lancaster. Some
history on the Lancaster Convention Center. Dale High of High Industries is the lead partner in our
new convention center/hotel. It is first class all the way. Now in the late 1980's I was a joint
venture partner with Dale High in American Helix Technology Company/Advanced Media Group.
American Helix was a cd manufacturer and I and my company Advanced Media Group was the
CD-ROM division of American Helix. I was one of a handful of CD-ROM manufacturers in the
domestic United States back then. Also in 2005 I filed a civil action against the lead hotel, the
Eden Resort Inn, for trying to block the development and building of the Hotel/Convention Center,
see
attached.
Now, some history about Lancaster and the intelligence community. Back in the 1980's there were
several defense contractors located in Lancaster, the main being International Signal & Control,
which I, of course, blew the whistle on a billion dollar fraud and arms to Iraq.
Click here for an overview of ISC.
Click here to see the Lancaster Newspapers Archives regarding International Signal & Control, or
ISC.
Click here to view the live video of the WGAL-TV News Broadcast of October 31, 1991 the evening
of the ISC indictments. The U.S. Department of Justice and other U.S. Agencies held a Press
Conference in the Philadelphia Federal Courthouse to announce the indictments and $ Billion
Dollar Fraud.

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Click here for Part 2 of the WGAL-TV 8 Broadcast.


Now politically, Lancaster is and has always been predominately Republican. Lancaster is one of
the oldest cities in the country and our courthouse was one of the first in this country. Lancaster
has one of the oldest fraternities of the Masons. Lancaster and the George W.Bush administration
has a close and very "interesting relationship". George H. Bush had a very close relationship with
ISC, and of course the NSA and CIA all had a very "close" relationship with International Signal &
Control, or ISC. The following are some transcripts for Ted Koppel and ABC News Nightline
regarding ISC and Arms to Iraq and the intelligence community. The transcripts are contained in
my Amicus for Case No. 2006-cv-2160 filed in the Eastern District of Michigan, Southern Division.
Now, Robert Gates, presently the Secretary of the United States Defense Department, and his
relationship to Lancaster. First of all, the attached video is the authentic transcript of Robert
Gates' confirmation hearing in September of 1991 for the Director of the Central Intelligence
Agency (CIA). If you fast forward to approximately 9:00:00 you will see the back and forth
questions from Senator Murkowski to Robert Gates regarding the allegations by several members
of the U.S. Senate Select Committee on Intelligence regarding his alleged involvement with ISC
and the Arms deals with Carlos Cardoen and the shipping of cluster bombs through South Africa
and on to Iraq. Of course, he denied all of the allegations.
Robert Gates also has relatives that live in Lancaster County, if fact he attended a wedding here a
few months ago, on May 3, 2009 at St. John Neuman Catholic Church in Manhiem Township,
Lancaster County. His wife has a niece that lives in Manheim Township.
Now, I'll give you the ABC News Nightline May 23, 1991 excerpt regarding ISC and the NSA,
National Security Agency:
"It all started legally, if covertly, back in 1974. That's when the National Security Agency, a supersecret U.S. Intelligence unit asked ISC to help complete project X, a chain of electronic listening
posts based at South Africa's Simonstown Naval Station. South Africa was using these posts to
follow Soviet submarine traffic off of the Cape of Good Hope. To ensure secrecy, ISC and the NSA
made sure shipments could not be tracked back to them. They created a company called Gamma
Systems Associates. In fact, this company was nothing more than a post office box at John F.
Kennedy Airport. Gamma was a cut-out. ... But this sanctioned covert operation was stopped in
1977 when President Carter, a strong opponent of South Africa's apartheid regime, told U.S. firms
to stop any military-related business with Pretoria. But ISC continue shipping electronics, some
civilian, some military, to South Africa. The in the early 1980's, South Africa began to intensify its
efforts at ballistic missile development. For ISC, that was a golden opportunity because on of its
top executives was a man named Clyde Ivey, an American electronics expert who has been the
father of South Africa's missile program. Ivey had extraordinary contacts in the nations defense
structure. Begining in 1984, federal investigators say, senior ISC exeutives, including Ivey, began
regular contacts with CIA officials." You can read the rest. The entire transcript of the May 23,
1991 ABC News/Nightline broadcast.
Now remember, George H. Bush was director of CIA. "He served in this role for 357 days, from
January 30, 1976 to January 20, 1977.[22] The CIA had been rocked by a series of revelations,
including those based on investigations by Senator Frank Church's Committee regarding illegal
and unauthorized activities by the CIA, and Bush was credited with helping to restore the
agency's morale.[23] In his capacity as DCI, Bush gave national security briefings to Jimmy
Carter both as a Presidential candidate and as President-elect, and discussed the possibility of
remaining in that position in a Carter administration[24] but it was not to be," according to
Wikipedia.
Now, lets get to Bobby Ray Inman, former Navy, Director of the National Security Agency (NSA),
former Director of International Signal & Control (ISC), and currently part of the Mind Control
industry. The following appears on the Welcome page of my website:

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"S.A.I.C. involvement in 1993 American Para psychological Association meeting arrangements, via
their 'Cognitive Sciences Laboratory'. Science Applications International Corporation is a big time
defense contractor, has held the largest number of research contracts of any defense contractor.
Bobby Ray Inman (ISC Board of Directors) is on its board of directors, among others."
by John Porter, CIA Program on Mind Control copyright 1996. In 1994, after Bobby Ray Inman
requested to be withdrawn from consideration as Bill Clinton's first Defense Secretary, his critics
speculated that the decision was motivated by a desire to conceal his links to ISC. Inman was a
member of the so-called "shadow board" of the company which was allegedly either negligent or
approved the exports." by Wikipedia on International Signal and Control, (ISC).
Now, lets list the former Navy personnel:
George H. Bush, former President of the United States, former Director of CIA.
James Guerin, President and Founder of International Signal & Control.
Bobby Ray Inman, former Director of the National Security Agency (NSA) and Director of
International Signal & Control, (ISC).
My father, Samuel P. Cateronne, Jr.
His father, Samuel J. Caterbone, Sr.
George Noory, of Coast to Coast Radio (just anecdotal, nothing assumed or alleged).
George W. Bush flew with the Navy.
James Cross
I will Finish later and add more.

Next we get to Jim Guerin's attorney back in 1989 through at least 1992. His name was Joseph
Tate, of Philadelpha. This link will take you to a document regarding Joseph Tate, James Guerin
and Joseph Roda, Esq., of Lancaster, my former attorney who said I fabricated everything back in
1987. The document contains a letter of September 12, 2005 from Special Prosecutor Patrick
Fitzgerald regarding Scooter Libby, Former Vice President Dick Cheney's Chief of Staff. the letter
involves Scooter Libby's Grand Jury Indictment for leaking Covert CIA Operative Valerie Plame
and eventually outing her.
Now in Austin Texas in July of 2005 I was detained by 2 Agents from The Defense Intelligence
Agency. I was merely visiting a Military Museum, that had old and vintage helicopters and
airplanes. near where my brother, Dr. Phillip Caterbone lived. I was visiting on my way to
California. While inside the museum 2 Agents from the Department of Defense Defense
Intelligence Agency escorted me outside to my Honda Oddesey and interrogated me making me
confirm that I was visiting and staying with my brother. They caused a problem for my brother's
Medical Practice by shaking up one of his secretaries. The reviewed my court documents for
CATERBONE v. Lancaster County Prison, et. al., Case No. 2005-cv-0288 filed in the U.S. District
Court for the Eastern District of Pennsylvania. The demanded that I stay off all military bases
before releasing me.
In 2006 I was telepathic with an older NSA executive on many occasions who wanted to meet me
at the Clipper Stadium who told me he wanted to rent a facility in Lancaster for a training
exercise. I told him to to and see Dale High and the High Group for space at the Greenfield
Industrial Park. He said he was retiring and that our discussions were keeping him a few weeks
longer than expected. We had intimate discussions of my history and the Chesapeake Bay Area.
We also discussed Sheryl Crow, and he told me his wife was a fan. I turned him on to her new
album, Wildflower, and he said she liked it. We had to disengage because he was being harassed
by other telepathic assailants.
My former secretary (Susan Bare) at Pflumm Contractors, Inc., where I was controller and was
hired to rescue the company from near bankruptcy in 1993, told me that her husband, Ross Bare,
who grew up just some 10 or so doors from me, worked for the NSA. She disclosed this soon
after I hired her in 1994 or 1995.
I will finish later and add to this allegation. This is a work-in-progress.

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Stan J. Caterbone
Advanced Media Group
[email protected]
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

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AFFIDAVIT
BE IT ACKNOWLEDGED, that Stanley J. Caterbone, Financial Management Group, Ltd.,
FMG Advisory, and and all affiliates, Pro Financial Group, Ltd., Advanced Media Group, Advanced
Media Group, Ltd., Global Entertainment Group, Ltd., Power Productions I, Radio Science
Laboratories, Ltd., of Lancaster County, Pennsylvania, the undersigned deponent, being of legal
age, does hereby depose and say under oath as follows:

I am now convinced that the situation surrounding my litigation and all factors attributed
to my financial and professional demise bore out of the fact that my Father, Samuel P. Caterbone
was a victim of U.S. Sponsored Mind Control, in the truest sense of the words.

The

whistleblowing activities of 1987 either were a coincidence or I was set up in the very beginning
by Pennsylvania State Senator Gibson Armstrong (former stock broker) in 1983 when he solicited
me to purchase the ISC stock. The preceding would have been the perfect cover story for my
demise; that I was involved in a fraud. Following this analysis would lead one to conclude that
the collateral damage from the activities of my financial ruin always left my fellow businesses in
financial ruin, for example Robert Kauffman and Michael Hartlett, partners, and the shareholders
and affiliated professionals of Financial Management Group, Ltd., Tony Bongiovi and Power Station
Studios, Jim and Lynn Cross as Cross Microwave Consultants, Dave Dering, Scott Robertson, and
James Boyer as American Helix/High Industries, Ralph Mazzochi and Gallo Rosa Restaurant;
Pflumm Contractors, Inc., Mike Caterbone's AIM Wholesaler's Business, Dr. Phillip Caterbone, D.O.
And associated Primary Care Practices of Austin, Texas, Sam Lombardo and Ralph Mazzochi as
S.N. Lombardo Associates for Lancaster Avenue Project, Sheryl Crow Singer Songwriter, my
immediate family, friends, and relatives.

Following this analysis would lead one to concur that the legal and financial remedies
would only be reconciled by the above named parties enjoining my civil litigation. This AFFIDAVIT
is to be considered a legal and binding document to accomplish that remedy.

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[email protected]
www.amgglobalentertainmentgroup.com
www.advancedmediagroup.wordpress.com
www.scribd.com/amgroup01
www.facebook.com/scaterbone
www.twitter.com/StanCaterbone
www.mcvictimsworld.ning.com/profile/StanJCaterbone
http://www.youtube.com/advancedmediagroup

Stan J. Caterbone
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603

ILLEGAL NO TRESPASS NOTICES AGAINST


STAN J. CATERBONE AND ADVANCED MEDIA GROUP
Violations of Public Accommodations Law re Discrimination
and Anti-Trust Violations with False Statements to Authorities
December 6, 2015
Work-In-Progress
Community Stalking and Organized Libel/Slander Campaign Strategy Issue a few every
year to support false arrests; false imprisonment; fabricated mental illness history. In addition to
isolate by prohibiting entrance to major entertainment venues with good live music. Prohibit from
defending against the lies and slander in public to a minimum. Also, destroy history of strong
Christian values and church attendance on a weekly basis by keeping away from church. The
Millersville University Graduate Studies No Trespass Notice was accommodated by the denial of
entitled benefits of LETA Job Training Education Course of the Paralegal program at HACC during
the same time period.

1. David Pflumm Properties by David Pflumm Served by State Constable in June of


2005, original not signed by David Pflumm
2. Eden Resort Inn, by Drew Anthon, Owner Sent via 1st Class Mail in 2005.
3. Barley Snyder, LLC Lancaster Office, by Shawn Long, Esq., Attorney representing
Fulton Bank in 2006 Sent via 1st Class Mail
4. Lancaster Newspapers, Inc., by Steve Weaver, Manager in 2006, No Notice,
Corraborated by Jack Buckwalter, Chairman and CEO and George Warner, Atty with Barley
Snyder, LLC, No Formal Notice, allowed to reenter in 2015.
5. Ruby Tuesday, Manor Shopping Center, Lancaster, by Manager and Lancaster City
Police in 2006, No Formal Notice, allowed to reenter in 2015.
6. Alley Kat Restaurant and Bar, Lancaster by Bartender Ms. Santinello, Brett Stabley,
and Lancaster City Police, No formal Notice in 2006
7. Village Nightclub, Lancaster by George in 2008, No Formal Notice
8. Marion Court Restaurant, Lancaster, by Security Personnel, corroborated by Michael
Geesey, in 2008, No Formal Notice, allowed to enter in 2015.
9. Valentinos Cafe, Lancaster, by Jeanine, Bartender,in 2008, corroborated by John
Valentino, Owner, No Formal Notice
10. Brunswick Hotel, Lancaster, by Staff Employees, in 2008, No Formal Notice
11. Lancaster County Library and Duke Street Business Center, by Executive Director in
March of 2009, by 1st Class Mail
12. Anne Bailey's Restaurant and Bar, Lancaster, by Manager in 2009, No Formal Notice
13. Millersville University Graduate Studies and Millersville University, Millersville, by
Lori Austin, Judicial Affairs, via Certified Mail in June of 2009.

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14. TGIF Friday's, Lancaster, by Manager, in January of 2010, No Formal Notice


15. Lucky Dog Restaurant and Bar, Lancaster, by Robert Donnelly, in January of 2010, No
Formal Notice
16. Saint Mary's Catholic Church, Lancaster, by Don Spica, Usher and Lancaster City Police
Department in Feb of 2010, No Formal Notice
17. O'Halloran's Bar, Lancaster, March 25, 2010 by Male Staff Employee. No Formal Notice.
18. Fulton Bank, Fulton Financial Corporation, March 26, 2010 by Susan Follmer, Security
Officer.
19.Lancaster General Hospital, Gary S. Gehman, MD, May 25, 2010, for recording Dr. Brian
Sullivan of Abbeyville Family Health re U.S. Sponsored Mind Control and posting on my
Wordpress Blog.
20.Tobias Frog Restaurant and Bar, August 8, 2015 by Owner of Establishment, reason
was for complaining of harassment and stalking.
21. Millersville University, July 9, 2015, served notice by Millersville University Police
Chief Pete Anders, for negotiating a civil rights complaint with Assistant to the President,
Debra Hoeckler
22.Village Nightclub, July of 20015, by George..........., Owner, tried to enter several times,
with no reason and no written notice.
23.Lucky Dog Bar, August of 2015, met Abby and Keagan Pflumm outside, went inside and
was told by bartender to leave and not come back.
24.Barley Snyder, LLC Lancaster Office, receptionist Ms. Woods refused to let me
communicate with Attorney George Werner, who in 2011 entered appearance in 05-2288
for Fulton Bank in U.S. District Court.
25.Wennerstrom Property Management Company, June 2015, went to complain
regarding harassment, threats, etc., at 1252 Fremont Street and told to leave building.
26.Pennsylvania Liquor Control Board, Nortwest Office Building, November 23, 2015,
Harrisburg, PA, Delivered COMPLAINT re Bars and Restaurants in Lancaster engaged in
Discrimination, Stalking, Harassment, Assaults, etc., Would not allow access to Legal
Counsel, and female who took complaint would not provide ID.

Dated: December 6, 2015

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# PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

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Stan J. Caterbone
# PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

"

June 19, 2015


PPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPPP

Pennsylvania
PPPPPPPPPPPPPPPPPPPPPPPPPP
$
Lancaster
PPPPPPPPPPPPPPPPPPPPPPPPPPPPP
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15
June
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&,PP

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


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Group
Chapter
Press
Press
11Release
Release

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Advanced
Stan
J. Caterbone
Medi Group
Media
Grop
Group
Chapter
Press
Press
11Release
Release
THE ADVANCED MEDIA GROUP

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17, 2015
2015
2016
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06/10/2007

Advanced
Stan
J. Caterbone
Medi Group
Media
Grop
Group
Chapter
Press
Press
11Release
Release
THE ADVANCED MEDIA GROUP

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17, 2015
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2016
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Medi Group
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January10,
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October

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October

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Thursday,
Tuesday,
Friday, December
January10,
11,
26,
17, 2015
2015
2016
Saturday,
October

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
www.amgglobalentetainmentgroup.com
[email protected]
717-669-2163

The following is a letter to the editor which I wish to be published on your site.
January 22, 2016
Re: Good Old Boys Network and the Kathleen Kane Coup
I have been the victim of a widespread civil and criminal conspiracy that dates back to
1987, made up of the very same actors that Kathleen Kane is up against, the "good old boys". In
1987 I blew the whistle on a local company, International Signal & Control, or ISC, that was
indicted for selling arms and weapons to Iraq via South Africa with the aid and support of the CIA
and the NSA. It was the 3rd largest white collar crime at that time, valued at $1 Billion Dollars. I
was the victim of a widespread wholesale cover-up through an elaborate slander campaign that
included 29 false arrests, multiple false imprisonments, and a fabricated mental illness record that
to this day is still resonating.
Kathleen Kane must be commended for her courage and her determination for taking on
this culture of arrogance and total disregard for the U.S. Constitution and the rule of law that they
so emphatically espouse to uphold. They believe and conduct their affairs in a manner that
suggests they are above the law and we, the Pennsylvania taxpayers, are beneath the law. The
sad fact that it reaches into the judiciary and law enforcement agencies is undeniably the most
outrageous and deplorable truth to this scandal. Case in point, until yesterday I was the
APPELLANT in a case before the U.S. Third Circuit Court of Appeals that involves the Habeus
Corpus for convicted and imprisoned Lisa Michelle Lambert. A murder case in the early 1990's
that was made famous when in 1997 U.S. District Judge Stewart Dalzell found her actually
innocent due to "one of the worst cases of prosecutorial misconduct in the English speaking
language" and released her from prison. The case drew nationwide attention when then
Pennsylvania Attorney General, then Mike Fischer, enlisted the help of 9 other state attorney
generals to curtail the reach of the federal bench in state matters concerning Habeus Corpus
cases. To make matters worst, 38,000 Lancastrians signed petitions to remove the Honorable
Stewart Dalzell from the federal bench.
Mike Fisher and company won and Lisa Michelle Lambert was back in prison within 9
months while the case went back to the Lancaster County Court of Common Pleas. The Honorable
Judge Lawrence Stengel held a bench hearing where she was again found guilty and sentenced to
life in prison. The case was covered by the LA Times in a multi-part Sunday series, A&E producer
Bill Curtis did a 48 Hours special, and Lifetime Movies made it into a prime time movie.
This year, these "Good Old Boys" made it so difficult for me to litigate my efforts to free
Lisa Michelle Lambert, that I had to dismiss my appeal and effectively withdraw as her MOVANT
and Advocate. I was trying to persuade the courts that my own demise was the result of the same
type of wholesale prosecutorial misconduct by some of the very same principals that Lisa Michelle
Lambert fell victim to. My efforts were so distasteful to the powers to be that her court appointed
attorney threatened me with criminal prosecution for no other reason than I might actually be
successful in helping her win the Habeus Corpus she filed in May of 2014. I allege the U.S. District

Op EdJ.Letter
Stan
Caterbone
re Kathleen
Chapter
Kane
11

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Tuesday,
Monday,
Sunday, January 25,
24, 2016
26,

Judge was trying in vain to invalidate and derail my own federal court cases that seek to restore
me to whole from a life of ruin, misery, torture, and financial collapse.
For the record, I founded a financial firm in the 1980's that reached 5 states and raised
some 90 million dollars in a matter of 9 months. In the late 1980's and early 1990's I was one of
5 domestic companies that had the capabilities of manufacturing CDROM's that included a client
list that reached across the globe and included government agencies and fortune 500 companies.
And in 1987, myself and a genius recording engineer named Tony Bongiovi and his famous
recording studio, Power Station Studios of New York, were developing and producing the first
"digital movie". The intellectual property rights and the RICO statutes that apply to my legal
claims in federal courts were too much for the "Good Old Boys" to handle.

_____________/S/___________
Stan J. Caterbone, Pro Se Litigant
Advanced Media Group
www.amgglobalentertainmentgroup.com
ACTIVE COURT CASES
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

Op EdJ.Letter
Stan
Caterbone
re Kathleen
Chapter
Kane
11

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Tuesday,
Monday,
Sunday, January 25,
24, 2016
26,

Stan J. Caterbone
ADVANCED MEDIA GROUP
1250 Fremont Street
Lancaster, PA 17603
[email protected]
717-669-2163

November 12, 2015


Ms. Kathleen Kane
Pennsylvania Attorney General
16th Floor Strawberry Square
Harrisburg, Pennsylvania
Re: Old Boys Network filed in GENERAL OAG QUESTIONS November 11, 2015
November 11, 2015 7:42am
"Kane, the first woman and Democrat elected to the position of Pennsylvania's top
prosecutor, has dismissed the case as a backlash over her challenge to what she
calls the old-boys' network in Pennsylvania law enforcement." LNP, Attorney
General Kane faces trial on more charges, by the Associated Press on November 11,
2015.
Back in 1998 I had a meeting with an NSA (National Security Agency, Ft. Meade, Md)
operative in a parking lot of a former car dealer in York, PA. I had just attended a job
fair and he approached me as I was about to get into my car. He introduced himself
as being from the NSA and I questioned him about why they would not leave me
alone. His response was "It is not US (NSA) it's the Good Ole Boys". I also have
a huge problem with modified, stolen, and planted documents. We parted ways in an
amicable fashion.
Stan J. Caterbone Advanced Media Group
717-669-2163
www.amgglobalentertainmentgroup.com
See the enclosed as well as U.S.C.A. 15-3400 LISA MICHELLE LAMBERT APPEAL,
APPELLANT, Stanley J. Caterbone, Pro Se
https://www.scribd.com/doc/284639091/Federal-Whistleblower-and-TargetedIndividual-of-U-S-Sponsored-Mind-Control-Executive-Summary-Updated-October12-2015

Stan J. Caterbone

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

Page
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Wednesday,
Tuesday,
Tuesday,
Monday,
December
January 25,
20,
26,
15, 2016
2015

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

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Wednesday,
Tuesday,
Tuesday,
Monday,
December
January 25,
20,
26,
15, 2016
2015

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

Page
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Wednesday,
Tuesday,
Tuesday,
Monday,
December
January 25,
20,
26,
15, 2016
2015

Case: 15-3400

Document: 003112153497

Page: 1

Date Filed: 12/14/2015

www.amgglobalentertainmentgroup.com
[email protected]
717-669-2163
Stanley J. Caterbone, APPELLANT, Pro Se
Advanced Media Group
1250 Fremont Street
Lancaster, PA 17603
IN THE UNITED STATES THIRD CIRCUIT COURT OF APPEALS
_______________________________________________________________________________
Lisa Michelle Lambert
:
PETITIONER
:
:
v.
:
CASE NO. 3400-2015
:
Lynn Bissonnette, et al.,
:
RESPONDANT
:
:
Stanley J. Caterbone
:
APPELLANT
:

MOTION TO DISMISS
_______________________________________________________________________
I hereby on this 14th day of December, 2015, I Stanley J. Caterbone, appearing pro se, as
the APPELLANT do hereby file a Motion to Dismiss the above captioned appeal for reasons previously
affirmed in previous filings.

/S/ Stanley J. Caterbone


Date: December 14, 2015

Stanley J. Caterbone, Pro Se Appellant


1250 Fremont Street
Lancaster, PA 17603
(717)-669-2163
http://www.amgglobalentertainmentgroup.com/__

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

Page
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666of
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Wednesday,
Tuesday,
Tuesday,
Monday,
December
January 25,
20,
26,
15, 2016
2015

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...

1 of 3

December 9, 2015

http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...

Letters to the Editor, News and Commentary

Breaking: Kanes staff has approved one of two contracts needed to hire a special prosecutor to investigate the porno email
scandal
by Bill Keisling
Have Republicans in the top levels of Pennsylvania government and courts engineered a takeover of the Democraticcontrolled state attorney generals office?
Has this high-level palace coup taken place under everyones noses?
Are the criminal charges brought by Republican officials against AG Kane, her subsequent
law license suspension, and efforts by the state senate to remove her from office all simply
a ruse meant to distract voters from what is really going on: an attempt by Republicans to
control policy in the attorney generals office, and throughout state government, without
having won an election?
Recent developments in all three branches of Pennsylvania government make these
reasonable questions.
Several weeks ago, on November 18, four high-level staffers from the AGs office testified
before the state senate committee exploring AG Kanes removal from office that theyve
been running nearly all the offices legal functions since Kane could no longer practice law.
First Deputy Attorney General Bruce Beemer, and three executive deputy attorneys general
Robert Mulle, James Donahue, and Lawrence Cherba testified they have effectively
Kathleen Kane

taken control of the elective attorney generals office following Kanes unprecedented law

license suspension.
First Deputy AG Beemer is a holdover from the days when Republican Attorney General Tom Corbett ran the office, before
Kanes election in 2012.
When she came into office Kane probably thought Beemer was a nice guy, and a competent and experienced career
prosecutors, who should be kept around.
But did Attorney General Kane make a mistake not having her own loyalists in these top positions?

Several weeks back, Beemer and the other three made a splash at
the senate impeachment committee when they spoke about the
importance of the many criminal cases the office was responsible
for handling.
But criminal cases prosecuted by the AGs office are, from a public
policy perspective, small potatoes.
The state AGs office is a johnny-come-lately in criminal
prosecutions. Before the office became an elective one in 1980, the
AGs office seldom if ever prosecuted criminals. (Criminal
prosecutions, before 1980, were referred to local DAs.)

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

Four guys running the AG's office: who voted for them?

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Wednesday,
Tuesday,
Monday, January 25,
20, 2016
26,
1/20/2016 5:25 AM

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...

2 of 3

http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...

For centuries, the most important job of the Pennsylvania attorney general has been to issue opinions on the legality or
constitutionality of state actions or programs.
Opinions issued by the Attorney General can and do concern the nuts and bolts of how state agencies are run from the
legality of programs, to who is hired, to how paper clips are bought, to the treatment and execution of prisoners.
Legal opinions of the attorney general carry the full force of law, until and unless a court overturns them.
Beemer and his three associates, testifying before the state senate, played down these important constitutional
responsibilities. These days, Beemer said, the AGs office rarely if ever issues important opinions on government or interagency matters.
Two recent and important issues demanding high-level decisions in the AGs office clearly demonstrate this is not true.
The first issue is a constitutional matter: the state senate is set to vote on whether to hold a hearing to remove Kane from
office, bypassing the constitutional impeachment process. Its the historic role of the attorney generals office to intervene on
questions of the legality of removing an official from office.
The second issue is a personnel, or contract, matter: The contract for Kanes choice of the special prosecutor to investigate
the court pornography email scandal must be reviewed and approved by her office.
AG Kane selected Douglas Gansler, a former Maryland attorney general, and his Washington DC-based law firm, to review
the hundreds of thousands of emails Kane found on her office servers.
But contracts hiring Gansler and his firm must be approved and signed by the attorney generals office staff.
The responsibility to review and approve Ganslers contract fell to one of the four AG office employees who testified several
weeks ago before the state senate panel to remove Kane: Robert Mulle, the executive deputy attorney general of the civil
law division.
Two employment contracts, one involving Gansler and the other his firm, landed on Deputy AG Mulles desk last week. Mulle
evidentially at first objected to the form and content of the special prosecutor agreements.
Kanes spokesman, Chuck Ardo, tells me, (Deputy AG) Mulle was able to work with Kane to massage the first of the two
contracts, about the firm.
That first contract has been signed, Ardo says. But Ganslers personal contract has yet to be approved, or signed.

They are still working on Ganslers contract, Ardo says. But she certainly got the first part approved.
Needless to say, the last thing state Republicans want is an unfettered special prosecutor looking into hundreds of
thousands of correspondence found on the AGs email servers.
Likewise, the attorney generals office must soon respond to the senates demand for a hearing to remove Kane from office.
Those running Kanes office apparently dont seem to be in any hurry, or think its their job, to weigh in on the constitutionality
of the senates proposed action.
But, it should go without saying, if a Democrat-controlled senate were to try removing a Republican attorney general in this
matter, the court papers already would be flying.
Likewise, if the porno email scandal involved mostly Democrats, instead of mostly Republican prosecutors and judges, a
special prosecutor would likely already be on the job.
So Kane finds herself having difficulties directing her own staff to work on these two important matters.
Three million Pennsylvania voters elected Kane. Voters didnt elect her staff members.

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

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Page
351
88 of
of 9355
9

Wednesday,
Tuesday,
Monday, January 25,
20, 2016
26,
1/20/2016 5:25 AM

KEISLING: Palace coup: what the Kathleen Kane prosecution is really ...

3 of 3

Newslanc
Op
Stan
EdJ.Letter
Caterbone
Letter
re Kathleen
to Chapter
the Editor
Kane
11

http://newslanc.com/2015/12/09/keisling-palace-coup-what-the-kathleen...

Page
Page
Page
352
99 of
of 9355
9

Wednesday,
Tuesday,
Monday, January 25,
20, 2016
26,
1/20/2016 5:25 AM

Woes across government branches tarnish Pa.'s image, experts say

1 of 3

http://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...

(https://twitter.com/BBumsted_Trib)

Stan J. Caterbone Chapter 11

Page 353 of 355

Tuesday, January 26, 2016


1/25/2016 5:22 AM

Woes across government branches tarnish Pa.'s image, experts say

2 of 3

Stan J. Caterbone Chapter 11

http://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...

Page 354 of 355

Tuesday, January 26, 2016


1/25/2016 5:22 AM

Woes across government branches tarnish Pa.'s image, experts say

3 of 3

Stan J. Caterbone Chapter 11

http://triblive.com/state/pennsylvania/9844432-74/state-political-budget?...

Page 355 of 355

Tuesday, January 26, 2016


1/25/2016 5:22 AM

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