Thursday, December 13, 2012

Roxanne Grinage Case Study Commentary opportunities and challenges for a federal crime victim litigant to "stay alive" in a Federal Court Docket while seeking to retain non-conflicted federally practicing attorney representation in time for Trial

Case Study Commentary by Roxanne Grinage December 13, 2012

Opportunities and Challenges for the Non-Attorney Represented
Federal Crime Victim Litigant to Stay Alive in a Federal Court Docket
While Seeking Non-Conflicted Attorney Representation.
120212 Roxanne Grinage Summary of Credentials. HireLyrics Administrative Services Legal Assistant Marketing Careers Project Manager Federal Rules of Evidence Compliant Expert Witness Services Administrative Solutions for Innovation of U.S. Economy Education Judicial Accountability Prison and Public Safety Reform(updated Resume Curriculum Vitae (CV)available upon request).pdf

Calendaring with Alarms Actions Tasks and Deadlines
Motions Denied In Part Granted In Part & Moot Give Options and Opportunities for Court Controlled Case Management

Roxanne Grinage Sees Opportunities for a Federal Crime Victim Non Attorney Represented Litigant to "Stay Alive" In a Federal Court Docket while he simultaneously shops to attract federally practicing attorney representation who is not only knowledgeable about copyright infringement but who may have attorney law firm associates versed in ethics and legal malpractice law to assist in
Correcting Process of Law Deficiencies and Identify Criminal Responsibilities.

Plaintiff can satisfy deficiencies noted in 11/10/12 Doc 206 Order of Honorable Edward Chen Denying Plaintiff's 11/30/12 Sua Sponte Motion for Injunctive Relief and survive threat of dismissal with prejudice posed by Defendants 11/21/12 Doc 171 Motion for Summary Judgment and 11/10/12 Motion for Leave to File Amended Cross Complaint, 

If Federal Crime Victim Litigant can e-file two separate Local Rules for Motion Practice Compliant Documents on or before
December 28, 2012.

(1)  Plaintiff's Motion for Reconsideration Clarifying Authorities Why Plaintiff Would Prevail on Merits if Process of Law Deficiencies are Corrected and Criminal Responsibilities are Identified

and

(2)  Plaintiff Anthony Fredianelli's Opposition of Defendants' 11/21/12 Motion for Summary Judgment with Proof Dismissal with Prejudice Rests on Conflict of Interest Attorney Misconduct Mutilated Complaint, Obstructed Subpoenaed Records and Expert Witness Reports.

Hearing on Plaintiff's Motion Declaratory Judgment Is Scheduled
Before District Court Judge on January 17, 2013.

Hearings on Defendants' Motions for Summary Judgment and Amended Cross Complaint is Scheduled
Before District Court Judge on January 24, 2013

U.S.D.C. CAND Case No. 3:11-cv-03232-EMC
Anthony Fredianelli v. Stephan Jenkins Third Eye Blind,
David Rawson et. al.

 A Roxanne Grinage Legal Assistant Marketing Careers Project Manager Work Product Authorized Posted to HireLyrics Administrative Services
Case Study pages in prototype demonstration of a U.S. Citizens (controlled) Public Docket Database to Assist Innovation of U.S. Economy, Education, Court, Prison, and Public Safety Reform Federal Crime Victims Litigants Can Overcome Official Corruption Fraud and Civil Rights Violations to Stay Alive in Federal Court Dockets where Judiciary and Law Enforcement may see unobstructed evidence; accurately calculate damages and identify criminal responsibilities. 

"Federal Crime Victim Litigants are also U.S. Economy Careers Contributors."
"Law Enforcement are Working Class People Too!"  - roxanne grinage HireLyrics Practice Model Schematics 2011

ECF Docket Activity Noticed: 
Don't pay attention to what opposing counsel is trying to represent as a court driven deadline.  Go by what is recorded into the Court controlled Docket Report and ECF Calendaring and Filing Notices that a litigant or lawyer with ECF privileges receives into the email boxes of their settings.

HireLyrics Administrative Solutions Series: 
"Docket Never Lies...Individual Accountability Is Measured in Docket Analysis.  Watch Those Dockets!"

 

Roxanne Grinage Sees Opportunities for a Federal Crime Victim Non Attorney Represented Litigant to "Stay Alive" In a Federal Court Docket while he simultaneously shops to attract federally practicing attorney representation who is not only knowledgeable about copyright infringement but who may have attorney law firm associates versed in ethics and legal malpractice law to assist in
Correcting Process of Law Deficiencies and Identify Criminal Responsibilities.

Opportunities and Challenges for the Non-Attorney Represented
Federal Crime Victim Litigant to Stay Alive in a Federal Court Docket
While Seeking Non-Conflicted Attorney Representation.
U.S.D.C. CAND
Case No. 3:11-cv-03232-EMC
Anthony Fredianelli v. Stephan Jenkins Third Eye Blind, David Rawson et. al.

Hearing on Plaintiff's Motion Declaratory Judgment Is Scheduled
Before District Court Judge on January 17, 2013.
Hearings on Defendants' Motions for Summary Judgment and Amended Cross Complaint is Scheduled
before District Court Judge on January 24, 2013

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

 

11/30/12 Court Stamped Doc 178. PLAINTIFF ANTHONY FREDIANELLI MOTION FILING COURT STAMPED 11/30/2012. DOCUMENT 178 25 PAGES. 11/30/12 Court Stamp Doc 178 In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v Stephan Jenkins, David Rawson, Third Eye Blind et al. Plaintiff Anthony Fredianelli's Notice of Motion, Motion Memorandum Of Law And Proposed Order For Sua Sponte Injunctive Monetary Relief To Correct Due Process Of Law Deficiencies, F.R.E. 702; F.R.C.P. 26; General Order 69; And To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) And 18 U.S.C § 2319.

 

The following transaction was entered on 11/30/2012 at 4:06 PM PST and filed on 11/30/2012

Case Name:

Anthony Fredianelli v. Stephan Jenkins et al

Case Number:

3:11-cv-03232-EMC

Filer:

 

Document Number:

181(No document attached)

   

Docket Text:
CLERKS NOTICE SETTING MOTION HEARING FOR 1/17/13 at 1:30 p.m., Set/Reset Deadlines as to [178] MOTION for Declaratory Judgment. Motion Hearing set for 1/17/2013 01:30 PM in Courtroom 5, 17th Floor, San Francisco before Hon. Edward M. Chen. Opposition due 12/14/12. Reply due 12/21/12. THIS IS A TEXT ONLY DOCKET ENTRY; THERE IS NO DOCUMENT ASSOCIATED WITH THIS NOTICE. (bpf, COURT STAFF) (Filed on 11/30/2012)

The following transaction was entered on 12/10/2012 at 4:59 PM PST and filed on 12/10/2012

Case Name:

Anthony Fredianelli v. Stephan Jenkins et al

Case Number:

3:11-cv-03232-EMC

Filer:

 

Document Number:

211

   

Docket Text:
STIPULATION AND ORDER RESETTING CMC AND CROSS-COMPLAINANTS' MOTIONS FROM 12/14/12 TO 1/24/13 AT 1:30 P.M. [166] MOTION to Amend/Correct Cross-Complaint. Motion Hearing set for 1/24/2013 01:30 PM in Courtroom 5, 17th Floor, San Francisco before Hon. Edward M. Chen.. Signed by Judge Edward M. Chen on 12/10/12. (bpf, COURT STAFF) (Filed on 12/10/2012)

The following transaction was entered on 12/10/2012 at 4:16 PM PST and filed on 12/10/2012

Case Name:

Anthony Fredianelli v. Stephan Jenkins et al

Case Number:

3:11-cv-03232-EMC

Filer:

 

Document Number:

No document attached

   

Docket Text:
Set/Reset Deadlines as to [171] MOTION for Summary Judgment Or, Alternatively, Partial Summary Judgment. Responses due by 12/28/2012. Replies due by 1/7/2013. Motion Hearing reset from 1/3/13 to 1/24/2013 01:30 PM in Courtroom 5, 17th Floor, San Francisco before Hon. Edward M. Chen. (bpf, COURT STAFF) (Filed on 12/10/2012)

11/21/12 Doc 171 Defendants Stephan Jenkins Third Eye Blind et al filed by Michell Greenberg Esquire Moriton for Summary Judgment Or Alternatively Partial Summary Judgment filed by 3EB Touring Inc Bradley Hargreaves Stephan Jenkins 31 pp Clerk of Court Reset Motion Hearing Continued from January 3, 2012 to January 24, 2012 and Judge Chen 12/10/12 Order Granting In Part Plaintiff Fredianelli's Motion for Extension of Time To Oppose Deadline Extended to December 28, 2012.pdf

 

 

02/22/11 Doc 1 Anthony Fredianelli Original Complaint Notice of Assignment Attached 34 pages In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins Third Eye Blind, David Rawson et. al.pdf

11/21/12 Doc 171 Defendants Stephan Jenkins Third Eye Blind et al filed by Michell Greenberg Esquire Moriton for Summary Judgment Or Alternatively Partial Summary Judgment filed by 3EB Touring Inc Bradley Hargreaves Stephan Jenkins 31 pp Clerk of Court Reset Motion Hearing Continued from January 3, 2012 to January 24, 2012 and Judge Chen 12/10/12 Order Granting In Part Plaintiff Fredianelli's Motion for Extension of Time To Oppose Deadline Extended to December 28, 2012.pd

12/10/12 Doc 211 Stephan Jenkins 3eb Defendants filed by Mitchell Greenberg Esquire Stipulation Re Cross Complaints Motion For Leave To File Amended Cross Complaint Status Conference reset Case 311-cv-03232-EMC.pdf

PLAINTIFF ANTHONY FREDIANELLI MOTION FILING COURT STAMPED 11/30/2012. DOCUMENT 178 25 PAGES. 11/30/12 Court Stamp Doc 178 In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v Stephan Jenkins, David Rawson, Third Eye Blind et al. Plaintiff Anthony Fredianelli's Notice of Motion, Motion Memorandum Of Law And Proposed Order For Sua Sponte Injunctive Monetary Relief To Correct Due Process Of Law Deficiencies, F.R.E. 702; F.R.C.P. 26; General Order 69; And To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) And 18 U.S.C § 2319.

11/30/12 Court Stamped Document 178-1 Plaintiff Anthony Fredianelli's [PROPOSED] ORDER GRANTING RESTRAINING ORDER AGAINST DEFENDANTS AND PLAINTIFF'S MOTION FOR SUA SPONTE INJUNCTIVE MONETARY RELIEF TO CORRECT DUE PROCESS OF LAW DEFICIENCIES, F.R.E. 702; F.R.C.P. 26; GENERAL ORDER 69; AND TO IDENTIFY BY EXPERT WITNESS AUDIT REPORTS, CRIMINAL RESPONSIBILITIES PURSUANT TO U.S. ATTORNEYS TITLE 9 CRIMINAL RESOURCE MANUAL 1852, U.S. COPYRIGHT INFRINGEMENT PENALTIES, 17 U.S.C. § 506(A) AND 18 U.S.C § 2319. in re U.S.D.C. CAND 3:11-cv-03232-EMC Anthony Fredianelli vs. Stephan Jenkins David Rawson Third Eye Blind, Inc. Proposed Order Granting Restraint Against Defendant and Plaintiff Motion Injunctive Monetary Relief Correct Due Process Law Identify Criminal Responsibilities.pdf

11/30/12 Court Stamped Document 179. 19 Pages. 11/30/12 Court Stamp Doc 179 in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli vs. Stephan Jenkins David Rawson Third Eye Blind et al, 11/30/12 DECLARATION OF ANTHONY FREDIANELLI IN SUPPORT OF RESTRAINING ORDER AGAINST DEFENDANTS AND PLAINTIFF'S MOTION FOR SUA SPONTE INJUNCTIVE MONETARY RELIEF TO CORRECT DUE PROCESS OF LAW DEFICIENCIES F.R.E. 702; F.R.C.P. 26; GENERAL ORDER 69; AND IDENTIFY BY EXPERT WITNESS AUDIT REPORTS CRIMINAL RESPONSIBILITIES PURSUANT TO U.S. ATTORNEYS USAM TITLE 9 CRIMINAL RESOURCE MANUAL 1852, U.S. COPYRIGHT INFRINGEMENT PENALTIES, 17 U.S.C. § 506(A) AND 18 U.S.C § 2319

11/30/12 Court Stamp Doc 180 In Re USDC Case No. 3:11-cv-03232-EMC Secretary to Anthony Fredianelli Notice Plainiff's Exhibits A, B, and C exceed 5MB ECF size limit. Respectfully apologies promise to rescan resubmit on 12/01/12 (Saturday) Plaintiff's Exhibits A B and C In Support of Plaintif Anthony Fredianelli's Plaintiff's Notice of Motion, Motion Memorandum Of Law And Proposed Order For Sua Sponte Injunctive Monetary Relief To Correct Due Process Of Law Deficiencies, F.R.E. 702; F.R.C.P. 26; General Order 69; And To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) and 18 U.S.C § 2319.pdf

12/01/12 Court Stamp Doc 183 Plaintiff's Exhibit A Part 1 of 2 Anthony Fredianelli Never Assigned His Copyright Ownership To Any Third Party, Took Great Pains to Issue Disclaimers to former Band Mates and Specifically Third Eye Blind Inc Partner Stephan Jenkins, Proofs of Fiduciary LiabilityU.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.pdf

12/01/12 Court Stamp Doc 184 Plaintiff Fredianelli Exhibit A Part 2 of 2 Proof Copyright Ownership Disclaimers Fiduciary Liability in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.pdf

12/01/12 Court Stamp Doc 185 Plaintiff Fredianelli Exhibit B 1 of 3 Identify Criminal Responsibilities Proof Anthony Fredianelli was a Partner in Third Eye Blind Inc in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al. .pdf

12/01/12 Court Stamp Doc 186 Plaintiff Fredianelli Exhibt B Part 2 of 3 Identify Criminal Responsibilities Proof Anthony Fredianelli was a Partner Third Eye Blind Inc. in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.pdf

12/01/12 Court Stamp Doc 187 Plaintiff Fredianelli Exhibit B Part 3 of 3 Identify Criminal Responsibilities Proof Fredianelli was Partner In Third Eye Blind Inc. in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.pdf

12/01/12 Court Stamp Doc 188 Plaintiff Fredianelli Exhibit C Conflict of Interest Attorney Obstruction Refuse Request For Production of Documents Refuse Subpoena Discovery Withhold Client Records and Orginal Creative Work Product Book Content of Anthony Fredianelli Kristi Fredianell Health and Fitness Business Domain stolen Witness Intimidation Attorney Fraud Billing of Band's Insurance to Prolong litigation in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.pdf

11/27/12 Settlement Conference Letter of Plaintiff Anthony Fredianelli Pursuant to Order of U.S. Magistrate Corley in re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.: "Further, defense lawyers Abbey, Weitzenberg, Warren & Emery, Mitchell B. Greenberg and Stephanie Walker, Esquire take unethical and unfair advantage by entering Documents 159 and 160 Filed 10/15/12, Defendants Stephan Jenkins, Third Eye Blind, Inc., 3EB Touring, Inc., and Stephan Jenkins Productions, Inc.'s and Defendant Bradley Hargreaves' Answers to First Amended Complaint, knowing, having been duly served certified service copies of Plaintiff Anthony Fredianelli's Notarized Letter Extraordinary Circumstances with Enclosures A, B, and C, Enclosure A detailing extraordinary circumstances characterized by my withdrawing counsel's belligerence in violation of California's Rules of Professional Conduct, Rule 3-110 (A), "Failing to Act Competently, a member shall not intentionally, recklessly, or repeatedly fail to perform legal services with competence." Only comprehensive application of F.R.C.P. 26 (Discovery) will discern the conflict of interest between my withdrawn counsel, Thomas Cronin with the band's insurer AIG and a Nevada Judge under public scrutiny for many acts of malfeasance which include President's Task Force Investigation of Las Vegas Home Owners Association which compelled withdrawn counsel to misrepresent to the point of mutilating my claims in petitioned proposed amended complaint attached to his motion for leave to withdraw".pdf

Witness Contact Redacted For Privacy: 12/05/12 Court Stamped Doc 197 Plaintiff Anthony Fredianelli's Exhibit B: Exhibit B U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins et. al. A non-attorney represented Plaintiff's Exhibit which demonstrates withdrawn counsels' Conflict of Interest, Legal Malpractice and Belligerent Obstruction so as to result in censorship and mutilation of Plaintiff's authentic complaint, declarations, claims, evidence and witness testimony... Pending Court's Ruling on Plaintiff's 11/30/12 Filings and 12/01/12 Exhibits Plaintiff's Motion For Sua Sponte Injunctive Monetary Relief and Proposed Order Granting Restraining Order against Defendants and To Correct Process Of Law Deficiencies F.R.E. 702; F.R.C.P. 26; General Order 69; and To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys USAM Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) And 18 U.S.C § 2319; 09/14/12 Notarized Extraordinary Circumstances Letter w/ enclosures A, B and C Doc 154 entered 09/17/12; 10/05/12 Plaintiffs Responses and Objections to Withdrawn Counsels' Cronin & Hutchinson 10/04/12 Memorandum and Recommendations (entered Letter Brief Under Seal); 11/27/12 Plaintiff's Settlement Conference Letter Pursuant to Order of Magistrate Judge Jacqueline Scott Corley Doc 169 filed 11/14/12; Exhibit In Re Plaintiff Anthony Fredianelli's Plaintiff's 12/04/12 Filings (1) Motion For Extension of Time to File Response In Opposition To Defendants Motion For Summary Judgment Doc 171 and Doc 172 Seeking to File Under Seal Out of Context Deposition Pages Under Protective Order; and (2) Pursuant to F.R.E. 611(a) Motion To Appear By Telephone at all Future Hearings Due to Non Attorney Represented Plaintiff and His Familys Extreme Hardships and Costs suffered as recently as Plaintiffs personal appearance at 11/30/2012 Settlement Conference and (3) Motion To Disqualify Magistrate Jacqueline Corley From Settlement Proceedings Pursuant To 28 U.S.C. § 455(a)(b)(1) and Standing Order for all Judges of the Northern District of California, Contents of Joint Case Management Statement.pdf

12/05/12 Court Stamped Doc 198 Plaintiff Fredianelli Exhibit C Part 1 of 3 7 Itemized Deposition and Discovery Itemized Obstructed to Court's Fact Finding and Case Management Efforts In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins et. al.pdf

12/05/12 Court Stamped Doc 199 Fredianelli Exhibit C Part 2 of 3 1st half of Deposition Pages Corrections Never Applied from Central District Case In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins et. al.pdf

12/05/12 Court Stamped Doc 201 Fredianelli Exhibit D All Who attempt to advance professional services help to keep Anthony Fredianelli alive in an attorney misconduct obstructed Federal Court Docket Suffered Hardship Cost Loss and Backlash of Defamation and Computer Virus attacks. Exhibit D U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins et. al. Exhibit E Itemized 9 Pages. Each person who has tried to help Anthony Fredianelli in his claims against Third Eye Blind, Inc. (Theresa Fredianelli, Kristi Fredianelli, Beverley Flannery, Tim Vawter) have suffered some kind of extreme hardship, cost and back lash (computer virus infection, defamation or simply rude dismissive and uncooperative conducts of plaintiff's withdrawn counsel), when we pointed out the deficiencies in process of law or flagrant conflict of interest we see in reviewing the documents and evidence that Anthony Fredianelli's withdrawn counsel, Thomas Cronin & Lee Hutchinson went to great lengths to censor from the fact finding and case management efforts of U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v. Stephan Jenkins, et al. See Plaintiff's Exhibit A. Verbatim Transcript. 1. Summary of Credentials, Roxanne Grinage, Legal Assistant Marketing Careers Project Manager*; Federal Rules of Evidence Compliant Expert Witness Report Services*; HireLyrics Administrative Services** & U.S. Citizens (controlled) Public Docket Database** an administrative solutions tool to innovate enrichment of U.S. Economy, Education, Judicial Accountability, Prison and Public Safety Reform; 2. December 1, 2012 email correspondence between Roxanne Grinage, Anthony Fredianelli's Legal Assistant, and Anthony Fredianelli's year long secretarial support and investigative professional service, Tim Vawter, Senior Investigator The Protection Group; Consultation: Roxanne to Tim Vawter: "We need to let the federal judge know how much hardship Tony suffered..." Tim Vawter to Roxanne Grinage: shares research findings as to Anthony and Kristi Fredianelli having shared equally, as Anthony Fredianelli functioned as a partner in the corporate entity's Third Eye Blind expenses related to Kevin Cadogan lawsuit and impacts for calculating damages owed to Tony still not assessed (as far as we could see) in any purported "spreadsheet" discussions referred to by withdrawn plaintiff's counsel; 3. April 13, 2012 Letter of ProtectionGroup.org, Tim Vawter, secretary to FBI, 9797 Aero Drive, San Diego, CA 92123, Phone (858) 565-1255, Fax: (858) 499-7991 reporting and asking for investigation of "completely fake" David Rawson's Power of Attorney Document on behalf of Third Eye Blind Guitarist, Tony Fredianelli enclosing one page of David Rawson's forged Power of Attorney document and March 15, 2012 Sworn Statement Regarding a Fake Power of Attorney Document signed by Tony Fredianelli, attesting to the fact that he discovered Third Eye Blind, Inc.'s accountant Defendant David Rawson had assume broad powers to divert Anthony Fredianelli's financial interests by forging a Power of Attorney banking instrument without Anthony Fredianelli's knowledge or permission. 4. December 3, 2012, Sworn Statement on Secretary Work, itemizes expenses $4,800.00 incurred by Tim Vawter for long term secretarial services rendered without pay as Fredianelli / Flannery families and HireLyrics Administrative Services have all shared in bearing the cost and hardship of witness intimidation and retaliation related to some of the people associated with the Defendants in the Third Eye Blind Lawsuit. Tim Vawter's itemized costs for secretarial work rendered includes the cost of two computers ($700.00) reasonably discerned to have been deliberately destroyed by belligerent lawyers reveals in case history review to have as a matter of practice would deliberately hack send viruses to Anthony and Kristi Fredianelli who would be complaining about Lawyer Misconduct or Conflict of Interest. As Tim Vawter, Senior Investigator of The Protection Groups (working in the field of countering internet harassment) took on review of Tony Fredianelli's legal documents a computer destroying virus was passed on to him from the same attorneys that gave it to Anthony and Kristi Fredianelli in a zip file marked "federal lawsuit documents.".pdf

12/07/12 Case Study Commentary Roxanne Grinage Summary of Credentials Preview Exhibit As Teaching Segment HireLyrics Administrative Services U.S. Citizens (controlled) Public Docket Database Roxanne Grinage Legal Assistant Marketing Careers Project Manage Federal Crime Victim Case Study: U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins Third Eye Blind et al., Federal Crime Victims can challenge any lawyer of the adverse party or state agency employee who approaches the non-attorney represented litigant with the wrongful presumption of Court authority. The crime victim plaintiff needs to focus on achieving ECF filing privileges, learning local rules for form and compliance and speak only to the Federal Court Docket where qualified Judiciary and Law Enforcement can see the Corruption Victims facts evidence damages deficiencies of process of law without obstruction. The challenges and responsible lawful but assertive solutions for correcting due process of law deficiencies, identifying criminal responsibilities and accurately reporting authentic complaint evidence and witness testimony regarding Theft by Deception of $8,000,000 in Copyright Infringement and Witness Intimidation Retaliation Theft of Person Illegal Detainer, Unlawful Imprisonment and Court Ordered under Color of Law and Falsification of Identification Documents Criminal Child Abuse Personal Injuries are one in the same. Federal Crime Victims created by Official Corruption Fraud Civil Right violations can overcome slander and attacks on our credibility by those high priced law firms who use contextomy false statements and crime victim plaintiffs prior termination and forced withdrawal of conflict of interest, fraud billing, and belligerent counsel as a rationale for dismissing plaintiffs claims. The industry components of litigation leave a vastly unregulated opportunity for failure to run and admit to conflict of interest checks, overlapping client billing vs. fraud billing of commercial insurers, and in this case the owner of a corporate entity factoring in as a necessary operating cost hundreds of thousands of dollars paid to heavy weight high priced litigators to beat down in obstruction any former band mate or business partner who objects to his theft by deception of $8,000,000 in copyright royalties and his accountants forged Power of Attorney document and moving around stolen money off shore, etc.pdf

 

 

 

 

Roxanne Grinage's litigation plan strategy for this case study at 12/13/2012.  Roxanne Grinage sees the following opportunities and challenges for a federal crime victim litigant to "stay alive" in a Federal Court Docket while seeking to retain non-conflicted federally practicing attorney representation in time for Trial Scheduled March 2013.

120212 Roxanne Grinage Summary of Credentials. HireLyrics Administrative Services Legal Assistant Marketing Careers Project Manager Federal Rules of Evidence Compliant Expert Witness Services Administrative Solutions for Innovation of U.S. Economy Education Judicial Accountability Prison and Public Safety Reform

1.  There was a rigorous volley of ECF Filing Activity Noticed which included Orders of U.S. District Court Honorable Edward M. Chen, Defendants Stephan Jenkins Third Eye Blind Motion to Leave to Amend Cross Complaint; the Defendants' lawyer, Mitchell S. Greenberg had already filed Opposition Plaintiff Anthony Fredianelli's 12/05/12 Motion For Extension of Time to December 28, 2012 to File Motion in Opposition to Defendants' Stephan Jenkins Third Eye Blind's Motion for Summary Judgment Hearing on Defendants' Motion for Summary Judgment scheduled January 3, 2013.  Roxanne Grinage also noted that Clerk of Court alerted all parties that action was needed as to stipulating consent to 12/04/12 "15 Minute Further Settlement Conference presided over by Magistrate Jacqueline Corley" which entered the settlement/dismissal of Defendant and Third Party Plaintiff Eric Godtland Management, case management hearing scheduled for December 14, 2012.  Anthony Fredianelli's 11/30/12 Motion with supporting Exhibits A, B and C objected to dismissal of Eric Godtland and clarified that a prior stipulated dismissed defendant, the Third Eye Blind band's lawyer, Thomas Mandelbaum was one done by a prior plaintiff counsel's belligerence when gross conflicts of interest and attorney misconduct were complained about. 

2.  Roxanne Grinage noted that Honorable Chen specified "Sua Sponte" in the Title of his Doc 206 Order and referred to "oral argument" in the content of the Order Denying Sua Sponte Motion.  Rox went back and scrutinized he docket reset and rescheduling and noticed  although Honorable Chen's Doc 206 Order Denied Sua Sponte (Third Party) Plaintiff's Motion Injunctive Monetary Relief - the Court's Calendar reflected in the Docket Report showed that Hearing on Plaintiff's Declaratory Motion for Injunctive Relief to Correct Process of Law Deficiencies and To Identify Criminal Responsibilities remained scheduled for personal appearance Hearing on January 17, 2013 in United States District Court Judge's Courtroom 5. 

Honorable Chen's Order is 3 pages and is based in valid legal rationale.   However, the U.S. District Court Judges Order Denying Plaintiff's Motion for Sua Sponte Injunctive Relief" is not without judicial compassion, inasmuch as there are a few opportunities for Plaintiff Federal Crime Victim to "stay alive" in copyright infringement federal docket while seeking non conflicted attorney representation further provide pretrial fact finding and evidence of need Correct Deficiencies in Process of Law and to Identify Criminal Responsibilities:

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

1.  Simultaneously (at the same time),

a.  Plaintiff should seek a federally practicing lawyer preferably experienced in ethics and legal malpractice who will take him on as a contingency fee paid client.

b.  Plaintiff should prepare and e-file on or before December 28, 2012 (1)  Plaintiff's Motion for Reconsideration Clarifying Authorities Why Plaintiff Would Prevail on Merits if Process of Law Deficiencies are Corrected and Criminal Responsibilities are Identified; and (2)  Plaintiff Anthony Fredianelli's Opposition of Defendants' 11/21/12 Motion for Summary Judgment with Proof Dismissal with Prejudice Rests on Conflict of Interest Attorney Misconduct Mutilated Complaint, Obstructed Subpoenaed Records and Expert Witness Reports. which provide supplementation and clarifications for every item Judge Chen's Order states plaintiff did not provide sufficient evidence for or clearly state reasons why. 

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

c.  Plaintiff pro se should be very careful to exclude objections regarding "in relative part" deletion of 11/30/12 Plaintiff Motion Title which included, "....And To Identify Criminal Responsibilities" when providing any and all deficiencies in evidence or clarifications directed in 12/10/12 Document 206 Order of Judge Chen Denying Sua Sponte Plaintiff's Motion.

d.  Plaintiff should stress in his MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 OF DECLARATORY JUDGMENT the he will abide by District Court Judge Honorable Chen's 12/10/12 Granting in part Denying in part Plaintiff's Motion to Appear Telephonically at all Hearings due to Hardship Cost and Loss Suffered as Recently as 11/30/12 Settlement Conference Hearing before Magistrate Jacqueline Corley, i.e. Plaintiff will personally appear at all motion hearings and be prepared for oral argument in support of his Motion for Declaratory Judgment To Correct Process of Law Deficiencies and To Identify Criminal Responsibilities.

Personal appearance discussion and oral argument on Plaintiff's MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 FOR DECLARATORY JUDGMENT IN SUPPORT OF

PLAINTIFF ANTHONY FREDIANELLI MOTION FILING COURT STAMPED 11/30/2012. DOCUMENT 178 25 PAGES. 11/30/12 Court Stamp Doc 178 In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v Stephan Jenkins, David Rawson, Third Eye Blind et al. Plaintiff Anthony Fredianelli's Notice of Motion, Motion Memorandum Of Law And Proposed Order For Sua Sponte Injunctive Monetary Relief To Correct Due Process Of Law Deficiencies, F.R.E. 702; F.R.C.P. 26; General Order 69; And To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) And 18 U.S.C § 2319.

In San Francisco Federal Courthouse before Honorable Judge Chen per Clerks Notice Setting Motion Hearing for 01/17/13 at 1:30 P.M. in Courtroom 5, 17th Floor, San Francisco before Honorable Edward M. Chen.

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

12/05/12 Court Stamped Doc 191 Fredianelli Plaintiff's 12/05/12 Three Motions: (1) Motion For Extension of Time to File Response In Opposition To Defendants Motion For Summary Judgment Doc 171 and Doc 172 Seeking to File Under Seal Out of Context Deposition Pages Under Protective Order and To Object To Doc 190, Civil Minutes Announcement Of Magistrate Judge Jacqueline Corley's 12/04/2012 15 Minute "Further Settlement Conference" Convened In Violation Of The Northern District of California Standing Order For all Judges, Contents of Joint Case Management Statement; and (2) Pursuant to F.R.E. 611(a) Motion To Appear By Telephone at all Future Hearings Due to Non Attorney Represented Plaintiff and His Familys Extreme Hardships and Costs suffered as recently as Plaintiffs personal appearance at 11/30/2012 Settlement Conference and (3) Motion To Disqualify Magistrate Jacqueline Corley From Settlement Proceedings Pursuant To 28 U.S.C. § 455(a)(b)(1) and Standing Order for all Judges of the Northern District of California, Contents of Joint Case Management Statement.

STRATEGY PLANNING AND PRESENTATION:  When drafting MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 Plaintiff should keep in mind that Defendants' were not granted everything Stephan Jenkins Third Eye Blind lawyer Mitchell S Greenberg asked the court for.

Defendants' lost their opposition to Plaintiff's Motion for Extension of Time to Oppose Stephan Jenkins Third Eye Blind Motion for Summary Judgment.

Defendants' lost their attempt to finalize 12/04/12 "15 minute Further Settlement Conference presided over by Magistrate Jacqueline Corley.   Defendants Hearings on 2 of Defendants Motions "Summary Judgment and Leave to Amend Cross Complaint" are now actually moved back to January 24, 2013, a full week AFTER Hearing on Plaintiff's Anthony Fredianeli's Hearing on Declaratory Motion (Correct Process of Law Deficiencies and Identify Criminal Responsibilities.)

12/10/12 Doc 211 Stephan Jenkins 3eb Defendants filed by Mitchell Greenberg Esquire Stipulation Re Cross Complaints Motion For Leave To File Amended Cross Complaint Status Conference reset Case 311-cv-03232-EMC.pdf

Plaintiff now has until December 28, 2012 to file more evidence in Opposition to Stephan Jenkins' Mitchell S. Greenberg's Motion for Summary Judgments referring to Plaintiff's 12/05/12 court stamped Exhibits A, B, C, and D and entering even more irrefutable evidence as to how belligerence of exposed for conflict of interest withdrawn plaintiff's counsel caused the amended complaint which Defendant's Motion for Summary Judgment relies upon to be a gross mutilation of Plaintiff Anthony Fredianelli's claims, evidence and witness testimony and a deliberate deprivation of F.R.E. 702, F.R.E 611(a), F.R.C.P. 26 to strip the Third Eye Blind Inc Partner Guitarist from standing before trial scheduled March 2013.

Plaintiff should research draft consult finalize and E-file the following Documents While he simultaneously shops for federally practicing non conflict attorney representation who is also associated with ethics and legal malpractice associates, showing the prospective copyright infringement plaintiff's attorney active links to the Docket Entries of U.S. District Court Judge's Orders, U.S. Magistrate Judge's Orders, Plaintiffs 4 Motions and 10 Exhibits Documents 178 through 201 filed between 11/30/12 and December 5, 2010 (in the left column of this case study commentary).

Plaintiff should e-file Motion for Reconsideration and Opposition of Third Eye Blind's Motion for Summary Judgment e-filed by December 28, 2012 which communicates to the Federal Court that non attorney represented plaintiff has

(1) looked up and understands how the case citations of Judge Chen in 12/10/12 Doc 206 Order of Judge Chen Denying Plaintiff's Sua Sponte Motion for Injunctive Relief, require U.S. District Court Judge "(noting that injunctive relief is appropriate where, inter alia, "remedies available at law, such as monetary damages, are inadequate to compensate for that injury") (emphasis added).

a.  Plaintiff should refer previously entered Exhibits 12/01/12 Plaintiff's Exhibit A, B, and C; and refer to Plaintiffs Exhibits Entered 11/05/12 Exhibit A, B, C and D but only "incorporated by reference as if fully set forth herein", using the form limitations and requires governed by Local Rules Motion Practice to provide those components Honorable U.S. District Court Edward M. Chen points out in his Order of 12/10/12 Document 206:

b.  Find and identify authorities which support injunctive release of monies stolen as a result of criminal theft by deception.  Clarify that  Plaintiff is not asking for injunctive relief advancement of damages.

c.  Add more evidence of Defendant Stephan's Jenkins Theft of Anthony Fredianelli's royalties and proof that corporate and entities have traded by interstate commerce the stolen revenues of Anthony Fredianelli.  

Reference again the Landmark Supreme Court Case Decision regarding Federal Court's jurisdiction over interstate commerce and build Authorities for the technology commerce, 42 revenue streams Stephan Jenkins is currently siphoning monies of Anthony Fredianelli without accountability.

d.  Plaintiff should satisfy Judiciary pointing out a deficiency in Plaintiff's Motion filed 11/30/12, "Finally, even if relief were theoretically available, Mr. Fredianelli has failed to make an adequate showing that he would be likely to prevail on the merits, thus rendering his request for relief inappropriate....(noting that "'[a] plaintiff seeking a preliminary injunction must establish that [inter alia] he is likely to succeed on the merits;'")".  Roxanne Grinage believes that Plaintiff Exhibits 11/30/12 A, B, C and 12/05/12 Exhibits A, B, C, and D with Declarations Theresa Fredianelli and Beverley should be represented by reference only and another Declaration of Anthony Fredianelli which clarifies his ownership of Third Eye Blind transacted copyrights, royalties should be entered attached to PLAINTIFF'S MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 OF DECLARATORY JUDGMENT FOR HEARING SCHEDULED JANUARY 17, 2013, AND

e.  Plaintiff's Motion for Reconsideration Declaratory Judgment Injunctive Relief Scheduled for Hearing on January 17, 2013 and Opposition of Third Eye Blind's Motion for Summary Judgment scheduled for Hearing on January 24, 2012,e-filed by December 28, 2012 should introduce for the first time DECLARATION OF ROXANNE GRINAGE in order to satisfy Federal Judge/Federal Court jurisdiction to "Correct Process of Law Deficiencies and To Identify Criminal Responsibilities.  Roxanne Grinage has organized for trial prep binders over 700 pieces of evidence, document, audio, medical records, law enforcement referral, attorney notes, and attorney court stamped filings, orders, witness testimony and case history.  Roxanne Grinage's Declaration would attach properly redacted medical records of Children's Rady Hospital Emergency Room, Pediatrician, Chadwick and LaJolla Forensic Trauma Specialists, and court stamped filings in Nevada Eighth District Court, Henderson and Las Vegas Metropolitan Police Report exhibits attached which prove the Attorney Misconduct, Witness Intimidation, Child Abduction and personal injury of Plaintiff Fredianelli's daughter by a long time stalker who was introduced to Kristi Fredianelli by Stephan Jenkins of Third Eye Blind was able to gain access to criminally physically and long term trauma injury Fredianelli's five ear old daughter on September 2, 2012 through September 7, 2012 in retaliation for Anthony Fredianelli complaining about Plaintiff's and Defendant's counsel's Cronin and Greenberg conflict of interest regarding Band's insurer AIG, and a Nevada Judge Ritchie's involvement with President Task Force investigated Las Vegas Home Owner's Association fraud.

f.  Plaintiff's Opposition of Third Eye Blind's Motion for Summary Judgment scheduled for hearing on January 24, 2013, and/or his Motion for Reconsideration Declaratory Judgment Injunctive Relief scheduled for Hearing on January 17, 2013 e-filed by December 28, 2012, should include the 11 page Declaration by Tim Vawter in Support of Tony Fredianeilli and on Ch. 73 Obstruction Violations.  12/11/11 (Not yet filed into Record of Case 3:11-cv-03232-EMC Anthony Fredianelli vs. Stephan Jenkins et al) Declaration of Tim Vawter Senior Investigator of the Protection Group In Support of Tony Fredianelli and on Ch. 73 Obstruction Violations. (Roxanne Grinage's note: Roxanne Grinage recommended Tim Vawter to Anthony Fredianelli after Tony Fredianelli presented on November 23, 2012 for 1.23 Hour Standard Claims Intake Assessment (transcribe of audio interview would be an exhibit in Roxanne Grinage's Declaration) of verifiable claims of official corruption fraud and civil rights violations. Tim Vawter has contributed to development of criminal justice field now known as "countering internet harassment." Tim Vawter is currently the pro se plaintiff in a trailblazing federal lawsuit which introduces new laws written by Tim Vawter regarding internet harassment and specifically to provide law enforcement safeguards to that Americans do not suffer Phoney Power of Attorney Documents). Tim Vawter's Declaration in Support of Tony Fredianelli and on Ch. 73 Obstruction Violations is 11 pages and includes Third Eye Blind Inc Account David Rawson's forged Power of Attorney document, and Tony Fredianelli's Affidavit renunciation of the POA as submitted by Tim Vawter to FBI in San Diego, California. Also featured in Tim Vawter's Declaration pertinent to Case No. 3:11-cv-03232-EMC are the new laws wrote by Tim Vawter which are being filed within Tim Vawter's lawsuit USDNJ case # 3:11-cv-06878-PGS-LHG VAWTER v. NEWS CORP et al, Honorable Peter G. Sheridan,presiding which is about making certain large internet hosting companies responsible for safeguarding users from internet harassment. Pertinent to Third Eye Blind Accountant David Rawson's fake Power of Attorney Document used to steal so much of Tony Fredianelli copyright royalties is One of Tim Vawter authored proposed new laws requires all parties who sign a Power of Attorney document must sign it in person, and on the same day. And, that a Power of Attorney document only lasts for 30 days.

Honorable Chen's Order is 3 pages and is based in valid legal rationale.   However, the U.S. District Court Judges Order Denying Plaintiff's Motion for Sua Sponte Injunctive Relief" is not without judicial compassion, inasmuch as there are a few opportunities for Plaintiff Federal Crime Victim to "stay alive" in copyright infringement federal docket while seeking non conflicted attorney representation further provide pretrial fact finding and evidence of need Correct Deficiencies in Process of Law and to Identify Criminal Responsibilities:

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

1.  Simultaneously (at the same time),

a.  Plaintiff should seek a federally practicing lawyer preferably experienced in ethics and legal malpractice who will take him on as a contingency fee paid client.

b.  Plaintiff should prepare and file a MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 FOR DECLARATORY JUDGMENT which provides supplementation and clarifications for every item Judge Chen's Order states plaintiff did not provide sufficient evidence for or clearly state reasons why. 

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

c.  Plaintiff pro se should be very careful to exclude objections regarding "in relative part" deletion of 11/30/12 Plaintiff Motion Title which included, "....And To Identify Criminal Responsibilities" when providing any and all deficiencies in evidence or clarifications directed in 12/10/12 Document 206 Order of Judge Chen Denying Sua Sponte Plaintiff's Motion.

d.  Plaintiff should stress in his MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 OF DECLARATORY JUDGMENT the he will abide by District Court Judge Honorable Chen's 12/10/12 Granting in part Denying in part Plaintiff's Motion to Appear Telephonically at all Hearings due to Hardship Cost and Loss Suffered as Recently as 11/30/12 Settlement Conference Hearing before Magistrate Jacqueline Corley.

i.e.

Plaintiff will personally appear at all motion hearings and be prepared for oral argument in support of his Motion for Declaratory Judgment To Correct Process of Law Deficiencies and To Identify Criminal Responsibilities.

Personal appearance discussion and oral argument on Plaintiff's MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 FOR DECLARATORY JUDGMENT IN SUPPORT OF

PLAINTIFF ANTHONY FREDIANELLI MOTION FILING COURT STAMPED 11/30/2012. DOCUMENT 178 25 PAGES. 11/30/12 Court Stamp Doc 178 In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v Stephan Jenkins, David Rawson, Third Eye Blind et al. Plaintiff Anthony Fredianelli's Notice of Motion, Motion Memorandum Of Law And Proposed Order For Sua Sponte Injunctive Monetary Relief To Correct Due Process Of Law Deficiencies, F.R.E. 702; F.R.C.P. 26; General Order 69; And To Identify By Expert Witness Audit Reports, Criminal Responsibilities Pursuant To U.S. Attorneys Title 9 Criminal Resource Manual 1852, U.S. Copyright Infringement Penalties, 17 U.S.C. § 506(A) And 18 U.S.C § 2319.

In San Francisco Federal Courthouse before Honorable Judge Chen per Clerks Notice Setting Motion Hearing for 01/17/13 at 1:30 P.M. in Courtroom 5, 17th Floor, San Francisco before Honorable Edward M. Chen.

12/10/2012 Doc 206, ORDER by Judge Edward M. Chen Denying [178] Plaintiff's "Motion for Sua Sponte Injunctive Relief." The following transaction was entered on 12/10/2012 at 10:56 AM PST and filed on 12/10/2012, Case Name: Anthony Fredianelli v. Stephan Jenkins et al Case Number:3:11-cv-03232-EMC Filer: Document Number: 206

12/05/12 Court Stamped Doc 191 Fredianelli Plaintiff's 12/05/12 Three Motions: (1) Motion For Extension of Time to File Response In Opposition To Defendants Motion For Summary Judgment Doc 171 and Doc 172 Seeking to File Under Seal Out of Context Deposition Pages Under Protective Order and To Object To Doc 190, Civil Minutes Announcement Of Magistrate Judge Jacqueline Corley's 12/04/2012 15 Minute "Further Settlement Conference" Convened In Violation Of The Northern District of California Standing Order For all Judges, Contents of Joint Case Management Statement; and (2) Pursuant to F.R.E. 611(a) Motion To Appear By Telephone at all Future Hearings Due to Non Attorney Represented Plaintiff and His Familys Extreme Hardships and Costs suffered as recently as Plaintiffs personal appearance at 11/30/2012 Settlement Conference and (3) Motion To Disqualify Magistrate Jacqueline Corley From Settlement Proceedings Pursuant To 28 U.S.C. § 455(a)(b)(1) and Standing Order for all Judges of the Northern District of California, Contents of Joint Case Management Statement.

STRATEGY PLANNING AND PRESENTATION:  When drafting MOTION FOR RECONSIDERATION AND OPPOSITION OF THIRD EYE BLIND'S MOTION FOR SUMMARY JUDGMENT E-FILED BY DECEMBER 28, 2012 Plaintiff should keep in mind that Defendants' were not granted everything Stephan Jenkins Third Eye Blind lawyer Mitchell S Greenberg asked the court for.

Defendants' lost their opposition to Plaintiff's Motion for Extension of Time to Oppose Stephan Jenkins Third Eye Blind Motion for Summary Judgment.

Defendants' lost their attempt to finalize 12/04/12 "15 minute Further Settlement Conference presided over by Magistrate Jacqueline Corley.  Defendants Hearings on 2 of Defendants Motions "Summary Judgment and Leave to Amend Cross Complaint" are now actually moved back to January 24, 2013, a full week AFTER Hearing on Plaintiff's Anthony Fredianelli's Hearing on Declaratory Motion (Correct Process of Law Deficiencies and Identify Criminal Responsibilities.)

12/10/12 Doc 211 Stephan Jenkins 3eb Defendants filed by Mitchell Greenberg Esquire Stipulation Re Cross Complaints Motion For Leave To File Amended Cross Complaint Status Conference reset Case 311-cv-03232-EMC.pdf

Plaintiff now has until December 28, 2012 to file more evidence in Opposition to Stephan Jenkins' Mitchell S. Greenberg's Motion for Summary Judgments referring to Plaintiff's 12/05/12 court stamped Exhibits A, B, C, and D and entering even more irrefutable evidence as to how belligerence of exposed for conflict of interest withdrawn plaintiff's counsel caused the amended complaint which Defendant's Motion for Summary Judgment relies upon to be a gross mutilation of Plaintiff Anthony Fredianelli's claims, evidence and witness testimony and a deliberate deprivation of F.R.E. 702, F.R.E 611(a), F.R.C.P. 26 to strip the Third Eye Blind Inc Partner Guitarist from standing before trial scheduled March 2013.

12/05/12 Doc 196 Exhibit A 20 pages In Re U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins, David Rawson, Third Eye Blind, Inc. et. al.: Transcript (Verbatim). Mid August 2011 Teleconference after a case management conference and a week before Anthony Fredianelli personally attended First Settlement/Mediation Conference Presided by Magistrate Jacqueline Corley, Windows Media Audio File. 39.29 minutes, 18.2 MB; Record submitted by Anthony and Kristi Fredianelli for Transcription and Index of Exhibits referred to by Plaintiff as "Thomas Cronin Serves Legal Goulash" and summarized in Records Management Initiative by Roxanne Grinage, A non-attorney represented Plaintiff's Exhibit which demonstrates Attorney Conflict of Interest, Legal Malpractice and Belligerent Obstruction so as to result in censorship and mutilation of Plaintiff's authentic complaint, declarations, claims, evidence and witness testimony - Entered by non attorney represented Plaintiff Anthony Fredianelli pending review of Plaintiff's Motion for Injunctive Monetary Relief to Correct Process of Law Deficiencies F.R.E. 702 and F.R.C.P. 26 and To Identify Damages and Criminal Responsibilities of Defendants Stephan Jenkins, David Rawson and Thomas Mandelbaum via Auditor Expert Witness Reports.pdf

12/05/12 Court Stamped Doc 201 Fredianelli Exhibit D All Who attempt to advance professional services help to keep Anthony Fredianelli alive in an attorney misconduct obstructed Federal Court Docket Suffered Hardship Cost Loss and Backlash of Defamation and Computer Virus attacks. Exhibit D U.S.D.C. CAND Case No. 3:11-cv-03232-EMC Anthony Fredianelli v. Stephan Jenkins et. al. Exhibit E Itemized 9 Pages. Each person who has tried to help Anthony Fredianelli in his claims against Third Eye Blind, Inc. (Theresa Fredianelli, Kristi Fredianelli, Beverley Flannery, Tim Vawter) have suffered some kind of extreme hardship, cost and back lash (computer virus infection, defamation or simply rude dismissive and uncooperative conducts of plaintiff's withdrawn counsel), when we pointed out the deficiencies in process of law or flagrant conflict of interest we see in reviewing the documents and evidence that Anthony Fredianelli's withdrawn counsel, Thomas Cronin & Lee Hutchinson went to great lengths to censor from the fact finding and case management efforts of U.S.D.C. CAND Case No. 3:11-cv-03232-EMC, Anthony Fredianelli v. Stephan Jenkins, et al. See Plaintiff's Exhibit A. Verbatim Transcript. 1. Summary of Credentials, Roxanne Grinage, Legal Assistant Marketing Careers Project Manager*; Federal Rules of Evidence Compliant Expert Witness Report Services*; HireLyrics Administrative Services** & U.S. Citizens (controlled) Public Docket Database** an administrative solutions tool to innovate enrichment of U.S. Economy, Education, Judicial Accountability, Prison and Public Safety Reform; 2. December 1, 2012 email correspondence between Roxanne Grinage, Anthony Fredianelli's Legal Assistant, and Anthony Fredianelli's year long secretarial support and investigative professional service, Tim Vawter, Senior Investigator The Protection Group; Consultation: Roxanne to Tim Vawter: "We need to let the federal judge know how much hardship Tony suffered..." Tim Vawter to Roxanne Grinage: shares research findings as to Anthony and Kristi Fredianelli having shared equally, as Anthony Fredianelli functioned as a partner in the corporate entity's Third Eye Blind expenses related to Kevin Cadogan lawsuit and impacts for calculating damages owed to Tony still not assessed (as far as we could see) in any purported "spreadsheet" discussions referred to by withdrawn plaintiff's counsel; 3. April 13, 2012 Letter of ProtectionGroup.org, Tim Vawter, secretary to FBI, 9797 Aero Drive, San Diego, CA 92123, Phone (858) 565-1255, Fax: (858) 499-7991 reporting and asking for investigation of "completely fake" David Rawson's Power of Attorney Document on behalf of Third Eye Blind Guitarist, Tony Fredianelli enclosing one page of David Rawson's forged Power of Attorney document and March 15, 2012 Sworn Statement Regarding a Fake Power of Attorney Document signed by Tony Fredianelli, attesting to the fact that he discovered Third Eye Blind, Inc.'s accountant Defendant David Rawson had assume broad powers to divert Anthony Fredianelli's financial interests by forging a Power of Attorney banking instrument without Anthony Fredianelli's knowledge or permission. 4. December 3, 2012, Sworn Statement on Secretary Work, itemizes expenses $4,800.00 incurred by Tim Vawter for long term secretarial services rendered without pay as Fredianelli / Flannery families and HireLyrics Administrative Services have all shared in bearing the cost and hardship of witness intimidation and retaliation related to some of the people associated with the Defendants in the Third Eye Blind Lawsuit. Tim Vawter's itemized costs for secretarial work rendered includes the cost of two computers ($700.00) reasonably discerned to have been deliberately destroyed by belligerent lawyers reveals in case history review to have as a matter of practice would deliberately hack send viruses to Anthony and Kristi Fredianelli who would be complaining about Lawyer Misconduct or Conflict of Interest. As Tim Vawter, Senior Investigator of The Protection Groups (working in the field of countering internet harassment) took on review of Tony Fredianelli's legal documents a computer destroying virus was passed on to him from the same attorneys that gave it to Anthony and Kristi Fredianelli in a zip file marked "federal lawsuit documents.".pdf