Kylie Avatar Healing (432hz)

doctor recommends

u drink a gallon of distilled water to flush out chemtrails, heavy metals poison

& open third eye

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5 thoughts on “Kylie Avatar Healing (432hz)

  1. I had surgery and soon after started chemotherapy, an experience i likened to “experiencing a nuclear bomb”

  2. DECLARATION OF STEVEN FISHMAN

    I, Steven Fishamn, declare as follows:

    1. I have personal knowledge of the facts stated herein,
    unless stated on information and belief, and if called upon
    to testify to those facts I could and would competently
    do so.

    2. I am a Defendant in the case of Church of Scientology
    v. Steven Fishman and Uwe W. Geertz. I am currently serving a
    five year sentence for mail fraud and I am under the direct
    custody of the Bureau of Prisons. I am currently housed in
    Dismas House, a “half-way haouse” run by the Bureau of
    Prisons, and under the direct supervision of the Community
    Corrections Manager of the Southern District of Florida.
    My release date from incarceratyion is June 28, 1993.

    3. I am prohibited from leaving the Southern District
    of Florida during my incarceration. After my period of
    incarceration, I will be under the supervision of the
    United States Parole Commission, from June 29, 1993 until
    November 28, 1993, and I am prohibited from leaving the
    Southern District of Florida. After my period of Parole,
    I will be under the supervision of the United

    -3- (0017)

    States Probation Office, from November 29, 1993 until
    November 28, 1995, and I am prohibited from leaving the
    Southern District of Florida, without permission of the
    United States Probation Office or as ordered by the Court.

    4. Due to the period of incarceration, parole and
    supervised release, it is very difficult if not impossible
    for me to conduct discovery and/or prepare for trial which
    is tentatively scheduled to occur in the summer of 1993.
    The trial is scheduled to take place in the Central
    istrict of California.

    5. This very Court in this very action declared
    me indigent -pursuant to a Motion to Proceed in Forma
    Pauperis signed by the honorable Judge Harry L. Hupp on May
    28, 1992.

    6. My financial condition is still indigent. I
    am employed as a receptionist and data entry clerk at the
    wage of $ 5.00 per hour. My gross pay is $ 200.00 per
    week, as I work a forty hour week. My net pay after
    deductions is $ 164.00 per week. Out of that check I
    pay $ 50.00 In subsistence payments to the Dismas House,
    and I make child support payments of $ 41.00 per week to my
    ex-wife, Jaime Lee Nureyev, in order to help support my two
    minor children. I further make a monthly non-committed
    fine payment of $ 25.00 to the Debt Collection Unit of the

    4 (0018)

    Northern District of California and I contribute $ 20.00
    per week to the support of My father, Jack Fishman, who is
    also destitute and has been adjudicated bankrupt by the
    Southern District of Florida, and is living only on his
    social security chock. I wish the Court to know that I am
    indigent and destitute and besides not being able to afford
    the cost of bringing witnesses to testify at trial in the
    Central District of Cdlifornia I cannot afford even a
    plane ticket or money for a hotel room to come out there
    for the trial myself.

    7. I cannot afford nor have I been able to afford to
    conduct discovery in this case, nor to issue subpoenas,
    hire court reporters etc., in the Central District of
    California, a jurisdiction which is convenient for the
    Plaintiff but not for myself as a Defendant in this case.

    8. Although my ability to conduct discovery in
    either jurisdiction is impossible due to my financial
    circumstances I ask the Court to recognize my right to
    attend My own trial as the Defendant, which would be
    impossible in California unless my traveling and hotel
    expenses were paid for by the Plaintiff or my co-Defendant,
    and I do not wish to be a burden upon either of them. If
    the case were transferred to the Southern District of
    Florida under 28 U.S.C. 1404(m), I would be able to attend
    my trial as the Defendant in this case since no travel or

    5 (0019)

    hotel expenses are involved.

    9. 1 do not expect my financial situation to change
    in the foreseeable future. I also still personally owe in
    excess of $ 10,000 in credit card debt, some of which I
    used to purchase books and tapes from bridge Publications
    Inc., the publishing house of the Church of Scientology,
    while I was still brainwashed and under the mind control of
    the Scientology cult.

    10. I have been ordered by Counselor Roxana Boyco and
    Director Tammy Jodway of Dismas House, as well as Mr.
    Conrad Lopez of the Bureau of Prisons to begin My required
    Mental Health Aftercare at the Henderson Clinic South, a
    psychiatric out-patient treatment center in Hollywood,
    Florida. My treatment begins on March 9, 1993, and may
    require psychotropic medication, according to Ruth Watkins
    at the clinic. I may not be reemitted by my treating
    psychiatrist to discontinue treatment during the period of
    time required for my trial appearance in California, even
    if the Court were to order the Bureau of Prisons to allow
    me to appear in California, and even if any expenses were to
    be Paid for by either the Plaintiff or Defendant Geertz,
    which is not likely-or customary.
    I will need to call Margery Wakefield as a
    witness. Margery Wakefield is a Florida resident. As an

    6 (0020)

    ex-member of Scientology, and As a victim of abuse while a
    member of the cult, she will be called upon to testify as
    -to the illegal and criminal practices Of the Church of
    scientology, as well as information regarding the church’s
    -policies on suicides, murder and the Church policy known
    as “changing history”. I cannot afford to bring Margery

    Wakefield as a witness to California. Margery wakefield
    told me that she is also indigent and destitute but has
    Indicated that she would appear as a witness if the case
    ,were brought to trial in the Southern District of Florida.

    She is a key witness in my defense.

    12. Dr. Ron Johnson is a doctor of veterinary
    medicine and a resident of Fort Lauderdale, Florida.
    I wish to be able to call him to trial in order to testify
    regarding my membership in the Church of Scientology in the
    year 1981, a fact strongly disputed by the Church in their
    attempt to cover up their involvement in the crimes for
    which I am charged in the criminal case. I cannot afford
    to bring this witness to California in order to testify.

    13. Dr. Ron Neuhring is a psychologist from Miami,

    Florida. He was my Fishman’s treating psychologist when I
    was first arrested at the Metropolitan Correctional Center,
    a Federal prison facility. Dr. Neuhring will be called to
    testify regarding my mental state at the time of my arrest,
    as well as statements which I made to him regarding my

    7 (0021)

    involvement with the Church of Scientology. I cannot
    afford to bring this witness to California in order to
    testify.
    14. Special Agent Angelo Troncoso of the Internal
    Revenue Service ‘is a resident of the Tampa, Florida area.
    I will call him to testify to his knowledge of the criminal
    investigation being conducted by the internal Revenue
    Service into the Church of Scientology, and to the extent
    of knowledge and details supplied to him by myself,
    establishing to the Court his understanding of my
    familiarity with upper-level Church management decisions
    and business. I cannot afford to bring this witness to
    California in order to testify.
    15. Special Agent Terry R. Kroggel is a Certified
    public Accountant with the Internal Revenue Service and a
    resident of the St. Petersburg, Florida area. I will call
    him to testify to my knowledge of the civil investigation
    being conducted by the Internal Revenue Service into the
    Church of Scientology, and to the extent of familiarity
    with details supplied to him by myself, establishing my the
    his understanding of my knowledge of upper-level Church
    management decisions and business. I cannot afford to
    bring this witness to California in order to testify.

    16. Detective Dennis Angelo is an investigator with

    8 (0022)

    the Clearwater Police Department, and is a resident of the
    Clearwater, Florida area. I will call him to testify to
    his Knowledge of the civil investigation being conducted by
    the Clearwater Police Department into the Church of
    Scientology, and to the extent of familiarity with details
    supplied to him by myself, establishing my knowledge of
    upper-level Church management decisions and business.
    I cannot afford to bring this witness to California in
    order to testify.

    17. Dr. Enyin Aksu is a psychiatrist who is a
    resident of Broward County Florida. Dr. Aksu was
    my treating physician at the time when I was, an in-patient
    at the Hollywood pavilion psychiatric facility in
    Hollywood, Florida, from February 13, 1989 until march 20,
    1989. Dr. Aksu will be called to testify regarding my
    mental state at the time of my involuntary commitment in
    the mental hospital, as well as statements made to him by
    myself Fishman regarding my involvement with this Church of
    Scientology. I cannot afford to bring this witness to
    California in order to testify.

    18. I will also need to call certain hostile
    witnesses who are staff members of the Church of
    Scientology, including but not limited to Mr. Frank
    Thompson, Mr. Ray Jourdain, Mr. Humberto Fontana, Ms.
    Beverly Flahan, Mr. Luis Gonzales, Mr. Charles Fox, Mr.

    9 (0023)

    Mark Witt, Mr. Michael Hambrick, Mr. Peter Letterese, Mrs.
    Barbara Fawcett Letterese, Ms. Denise Franklin Monco Mancha
    Ms. Fran Hardy Andrews, Ms. Barbara Koster, Ms,. Leona
    Littler Grimm, Ms. Celia Alvarez, Mr. Tom Staley, Ma. Karen
    Staley, Ms, Shirley Hambrick, Ms. Leah Abady, Ms. Colette
    Atzel, Mr. Jamie Gurlaccio, Mr. Bob Levy, Mr. Doug Carr,
    Mr. Roberto Naya, Ms. Nancy Witkowski, Mr. Paul Dibble, Ms.
    Linda Miller, Ms. Vicki Kirkland, Mr. Roggie Monce, and
    others who are residents of either Dade or Broward County,
    Florida. These witnesses will be called upon to testify
    regarding the physical abuse and hypnosis performed upon
    myself, AS well as Church policies regarding these
    practices. Some will be asked to testify regarding the
    Church policy regarding suicide and murder, as well as
    specific orders directing me to assassinate Dr. Geertz and
    to have me Defendant commit suicide under the auspices of
    an “End of Cycle” order. others will be asked to testify
    regarding the Church’s involvement and direction in
    ordering me to commit securities class action fraud in a
    Church operation known an Operation Acting Classes, for
    which I was arrested and plead guilty in an Alford Plea (of
    Innocent but responsible for the acts alleged), and other
    criminal acts which I was directed to commit on behalf of
    the cult, including the Ethics Bait Project and Bingoing.
    I cannot afford to bring any of these or other similarly
    situated witnesses to California for the trial, as they are
    nearly all residents of the Southern District of Florida,

    10 (0024)

    with the exception of Denise Franklin Monce Macha, who may
    be residing in Clearwater, Florida to the best of my
    recollection.
    19. I will also need to call Mrs. Dorli Geertz to
    testify Regarding psychological tests which she
    administered on me over the Years between 1979-1990 which
    will establish my deteriorating state of mind during the
    time I was a devotee to and member of the Scientology cult.
    I cannot afford to bring this witness to California in
    order to testify.

    20. Dr. Daniel M. Lipshutz. M.D. is a resident of
    Singer Island, Florida, and is my uncle. He is a retired
    psychiatrist formerly licensed to practice psychiatry in
    New York. He has been familiar with my psychiatric history
    during my entire lifetime arid will be called to testify
    about how the Scientology cult had adversely affected my
    thinking, belief system and my mental condition. I cannot
    afford to bring this witness to California in order to
    testify.

    21. Mr. Samuel J. Kern, is a resident of Plantation,
    Florida, and is also my uncle. He is a retired trial
    attorney from Brooklyn New York, and although cannot
    represent me an counsel in this case because he is not
    admitted to the bar in Florida, he will assist me and act

    11 (0025)

    as my personal representative if the trial were conducted
    in Florida. I cannot afford to bring my uncle to
    California in order for him to assist me in the preparation
    of my defense as my personal representative.

    22. Consequently, and in the interest of justice,
    I plead with the Court to transfer the venue to the
    Southern District of Florida pursuant to 29 U.S.C. 1404(a).

    I declare under penalty of perjury under the laws of
    the State of Florida that the above is true and correct to
    the best of my recollection and understanding.

    Executed March 1, 1993 at Dania, Florida.

    (signed steven fishman)
    Dated: march 1 1993 Defendant
    Pro Se
    Register Number 17280-004
    Dismas House
    Room 324
    141 N. W. 1st Avenue
    Dania, Florida 33004

    12 (0026)

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