	id AA29092; Fri, 24 Feb 95 15:58:15 CST
Subject: Conspiracy Nation -- Vol. 4 Num. 11


              Conspiracy Nation -- Vol. 4  Num. 11
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                    ("Quid coniuratio est?")
 
 
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THE ANDREUCCETTI AFFAIR
=======================
 
[...continued...]
 
[CN -- I am jumping ahead here, due to late breaking events of 
which I have just been informed.]
 
[CN -- Note also that I neither necessarily believe nor 
disbelieve either all or portions of the following. I am merely a 
journalist in this matter. I am willing to post replies of 
reasonable length from responsible parties.]
 
 
RECEIVED: Feb. 21, 1995
 
           United States District Court
           Northern District of Illinois
           Eastern Division
 
Mark Sato, et al., plaintiffs          )
                                       )  No. 92 C 7048
           vs.                         )
                                       )  Judge Wayne Andersen
Shirley Peterson, et al., defendants   )  Magistrate Joan Lefkow
 
 
                      Notice of Motion
 
Please be informed that on February 21, 1995, the undersigned 
filed with the Clerk of the above Court, and will present the 
same on April 20, 1995, at 10 a.m., before Magistrate Joan H. 
Lefkow, or any Magistrate or Judge sitting in her place and 
stead, in the Dirksen Federal Building, 219 So. Dearborn St., 
Chicago, IL 60604, the attached Motion for Leave with Further 
Amendments thereto attached of Second AMENDED Verified Complaint, 
and supporting Verification, and Verification set out below, all 
herewith served upon you.
 
Since the Magistrate stated on February 16, 1995, that she would 
rule by mail on pending motions for leave, it may not be 
necessary for these plaintiffs to present the attached Motion on 
the said April 20, 1995.
 
(signed) Joseph Andreuccetti
(signed) Sherman H. Skolnick
 
 
              Verification including Proof of Service
 
The undersigned does hereby certify under the provisions of 28 
U.S.CA. Sec. 1746, as follows:
 
1. That the matters stated in the attached Motion for Leave are 
true and correct to his personal knowledge or are matters of 
record or of law, and in either case, are true.
 
2. That he caused a copy of this Verification, Notice of Motion 
above, attached Motion for Leave with Further Amendments thereto 
attached, and Verification in Support, to be served on those 
above named [CN -- Christine A. Grant, Eileen Marutzky, Senator 
Orrin Hatch, and others named in the document in my possession], 
at addresses there shown, by sending them each a copy in duly 
addressed, sealed, and stamped envelopes, and depositing in U.S. 
Mail Box on February 21, 1995.
 
Executed on February 21, 1995.
 
(signed) Joseph Andreuccetti
 
 
      Motion for Leave to File Further Amendments to Second 
  Amended Verified Complaint, with Further Amendments Attached
 
[CN -- As noted, I am skipping ahead. I hope to soon post the 
original complaint.]
 
Comes now Joseph Andreuccetti and Sherman H. Skolnick, 
plaintiffs, pro se, and move the Court for an Order granting them 
leave to file further amendments to Second Amended Verified 
Complaint, and for grounds state:
 
1. As shown in attached further amendments, certain events 
occurred since the events stated in Second Amended Verified 
Complaint, and since the Amendments thereto, which should be 
included therein.
 
2. Said further amendments are attached hereto and made a part 
hereof.
 
3. Said plaintiffs ask for leave as aforesaid.
 
(signed) Joseph Andreuccetti, plaintiff, pro se
(signed) Sherman H. Skolnick, plaintiff, pro se
 
 
     Further Amendments to Second Amended Verified Complaint
 
Plaintiffs, pro se, Joseph Andreuccetti and Sherman H. Skolnick 
add the following to Count Three, following paragraph 29:
 
29D. That on February 16, 1995, at or about 10 a.m., there was a 
hearing in the instant case before Magistrate Judge Joan H. 
Lefkow. Present were: plaintiffs Sherman H. Skolnick, Joseph 
Andreuccetti, Robert E. Cleveland, Mark Sato, and Gerald H. 
Parshall, Jr., with Parshall representing the defendants; 
Parshall being from the United States Department of Justice, Tax 
Division, Trial Attorney, Washington, D.C.
 
29E. After said hearing, in the hallway outside Courtroom 1858, 
present were: Skolnick, Andreuccetti, Sato, and Cleveland, and 
Parshall. Parshall stated to plaintiffs Skolnick and Andreuccetti 
as follows:
 
(a) Parshall said he was going to go to Chief Bankruptcy Judge 
John D. Schwartz to tell him that plaintiffs Skolnick and 
Andreuccetti have made serious accusations against Schwartz, the 
same as in Count One, paragraph 13, adopted here by reference as 
if verbatim herein set forth, meaning to be understood by 
Parshall on behalf of defendants herein and was so understood by 
plaintiffs Skolnick and Andreuccetti as follows:
 
(1) That the defendants, by and through Parshall, are going to 
seek to force, compel, and coerce Judge Schwartz to mis-use his 
federal judicial power and authority, to threaten plaintiffs 
Skolnick and Andreuccetti with contempt and jail, to silence said 
plaintiffs and intimidate them into withdrawing and nullifying 
said paragraph 13 of Count One;
 
  [CN -- Paragraph 13 of Count One: "By words and statements, 
  she {CN -- Lynette Redmer, connected in some capacity with 
  the IRS, Criminal Investigations Division} confirmed that she 
  recognized that Chief Bankruptcy Judge John D. Schwartz, in 
  Joe's {CN -- Andreuccetti's} long-standing case, was highly 
  corrupt. She did not deny or dispute that Judge Schwartz has 
  a net worth of 140 million dollars and has not filed a proper 
  federal tax return in thirty years. She cautioned Skolnick 
  that it was improper for him, 'to have those records,' of her 
  agency.]
 
(2) That the defendants, by and through Parshall, are threatening 
to damage plaintiffs Skolnick and Andreuccetti, in their persons, 
properties, and liberties, if said plaintiffs repeat said serious 
accusations on the Cable Television Show "Broadsides", in which 
Skolnick is a regular panel commentator and Andreuccetti from 
time to time assists the same;
 
(3) That the defendants, by and through Parshall, are threatening 
to damage plaintiffs Skolnick and Andreuccetti, in their persons, 
properties, and liberties, by way of a Justice Department cover 
up of the 50 million dollar transfer of Resolution Trust 
Corporation funds, parked with Household International; that is, 
the clandestine transfer of said funds to Little Rock, Arkansas, 
to cover up the embezzlement and mis-appropriation of some 47 
million dollars from a federally insured Savings and Loan in 
Arkansas, for which a federal grand jury is considering federal 
criminal indictments against Hillary Rodham Clinton and William 
Jefferson Clinton, respectively First Lady and President of the 
U.S.; further, the clandestine transfer from Little Rock with the 
assistance of Fuji Bank, to the Cayman Islands and from there to 
a purported clandestine account with the purported code Chelsea 
Jefferson in Switzerland; related to Count One herein, paragraph 
18, adopted here by reference as if verbatim herein set forth;
 
(4) That the defendants, by and through Parshall, are threatening 
to damage plaintiff Andreuccetti in his person, property, and 
liberty, for him having filed a form 211 of IRS, attached to 
Second Amended Verified Complaint and adopted here by reference 
as if verbatim herein set forth;
 
(5) That the defendants, by and through Parshall, are threatening 
to damage plaintiffs Skolnick and Andreuccetti in their persons, 
properties, and liberties, in that defendants perceive that these 
plaintiffs caused the matters of Judge Schwartz, the clandestine 
transfer of RTC funds as aforesaid, on which Andreuccetti has a 
long-pending claim, and related IRS and Justice Department 
corruption, to be circulated and distributed worldwide on the 
information superhighway known as Internet; that these matters 
appeared on Internet just prior to the said February 16, 1995 
hearing before Magistrate Lefkow at which Parshall was present on 
behalf of the IRS, the Justice Department, and other entities, 
official and unofficial, all of which have an interest to silence 
and damage these plaintiffs under the pretense of federal 
authority, damaging these plaintiffs in their persons, 
properties, and liberties;
 
(6) That the defendants, by and through Parshall, are seeking to 
damage plaintiffs Skolnick and Andreuccetti in their persons, 
properties, and liberties, in that defendants have the data to 
blackmail Judge John D. Schwartz to so damage these plaintiffs; 
in that Schwartz, as known to the defendants, is corruptly linked 
and implicated with the nefarious and corrupt acts and doings of 
Household International, Pinnacle Banc Group, as the successor 
and alter ego of the criminal enterprises known as Bank of Credit 
and Commerce International, First Midwest Bank, Bishop Paul 
Marcinkus, previously head of Vatican Bank and principal force 
behind Andreuccetti's tormentor First National Bank of Cicero now 
Pinnacle Banc Group, and Marcinkus having as his godson and or 
nephew Christian Henning, Jr., who falsely alleged he was 
Andreuccetti's business partner;
 
(7) That the defendants, by and through Parshall, know full well 
that Judge Schwartz is pliable and blackmailable by the 
defendants and could easily be compelled, coerced, and activated 
to jail plaintiffs Skolnick and Andreuccetti; defendants knowing 
full well Schwartz is implicated in RTC secret fund transfer.
 
(8) That the defendants, by and through Parshall, are conveying 
to plaintiffs Skolnick and Andreuccetti that the power of the 
Justice Department stands against said plaintiffs; that the 
Justice Department and the defendants could allow, permit, 
condone, and acquiesce in bodily harm and other damage to be 
inflicted on plaintiffs and that nothing could or would be done 
against the perpetrators; similar to the defendants and the 
Justice Department covering up and suppressing that the senior 
investigation specialist of the RTC, knowledgeable about the 
aforesaid 50 million dollar clandestine transfer, Jon Parnell 
Walker, was suicided, that is, murdered, and the Justice 
Department and the defendants have arranged that nothing be done 
to investigate the matter, up to the time of the appointment of 
the Independent Counsel; that the corruption of Judge Schwartz is 
linked to the secret transfer of 50 million dollars of RTC, as 
aforesaid, to try to keep Clinton and his wife from jail; that 
the corruption of Judge Schwartz is linked to Justice Department 
corruption in the INSLAW Affair where more than 41 witnesses were 
murdered while the matter was about to commence and/or pending 
before a Special Federal Grand Jury in Chicago; that Skolnick as 
a federal grand jury witness complained of said murders in a 
civil suit to no avail, with the Justice Department defendants 
covering up the same.
 
(9) That the defendants, by and through Parshall, meant it to be 
understood and it was so understood by plaintiffs Skolnick and 
Andreuccetti, that these plaintiffs should shut their mouths and 
watch what they are saying in and out of Court; in that as known 
to the defendants and the Justice Department, there is a secret 
unit there that carries out domestic and foreign political 
murders; as INSLAW contends.
 
                   [...to be continued...]
 
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Aperi os tuum muto, et causis omnium filiorum qui pertranseunt.
Aperi os tuum, decerne quod justum est, et judica inopem et 
  pauperem.                    -- Liber Proverbiorum  XXXI: 8-9 

 Brian Francis Redman    bigxc@prairienet.org    "The Big C"
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    Coming to you from Illinois -- "The Land of Skolnick"        
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