Professional Documents
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Exhibit A
FALSE CERTIFICATES OF SERVICE SUBMITTED BY PLAINTIFF
Page
10
ECF
No.
61
67
196
231
232
Claimed Date
01 Service
11 Feb 14
14 Feb 14
10 Sep 14
8 Dec 14
12 Dec 14
Postmark
Date
Comments
12 Feb 14
15 Feb 14
15 Sep 14
9 Dec 14
13 Dec 14
Note: This is list of improper service is incomplete. The delays cannot be caused by
dropping the mail pieces into a mail box after hours so that the mail pieces were
postmarked the next day. All except one were mailed at a staffed service counter or via an
automated kiosk so that they were postmarked as soon as the postage was paid. The other
mail piece is delayed by five day, too long to be the result of after-hours mailing.
Case 8:13-cv-03059-PWG
Page 6 of 6
Respe
Brett Kim
8100 8eech ree Rd
Bethesda. MD 20817
(301) 3205921
jystjcejtmp@comrastnet
Certificate of Service
ExA, p. 2
/7~'
Respec;tfu~J(
//
'-\
mitted,
'
"
Brett Kimberlin
8100/Beech Tree Rd
Bethesda, MD 20817
(301) 320 S921
i ustjcejtmp@carncastnet
Certificate of Service
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$070
OOD16206-tC
ExA, p, 3
Case B:13-cv-03059-PWG
Page 25 of 25
Certificate ofServtce
I certify that I have served a copy of this Response on Lee Stranahan, Ron
Coleman, Catllyn Contestable, Michael Smith. and Mark BaUen by emalL and on
Defendants Hoge, The Franklin Center, and Walker by First Class maU this 14do
day of February, 2014.
Brett KImberlin
53.
54.
55.
25
Ex A, p. 4
Certificate of Service
I certify that I have served a copy of this Response on Lee Stranahan, Ron
Coleman, Catilyn Contestable, Michael Smith, and Mark Bailen by email, and on
.~
\)
Defendants Hoge, The Franklin Center, and Walker by First Class mail this)A'h
day of February, 2014.
(Jr/
Brett Kimberli'J
53,
54,
55,
25
ExA, p. 5
Case 8:13-cv-03059-GJH
Page 2 of 2
CERTIFICATE OF SERVICE
Plaintiff certifies that he has served his motion on the defendants and/or Iheir attorneys by
email and/or regular mail this
day of September -----,2014.
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ExA. p. 6
/
CERTIFICATE OF SERVICE
Plaintiff certifies that he has served his motion on the defendants and/or their attorneys by
I and/or regular mail this __
day of September (3. 2014.
/~
Brett KOberlin
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ExA, p. 7
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Case 8:13-cv-03059-GJH
Document 231
Filed 12/08/14
Page 50 of 50
Conclusion
WI1l'reforc. for all these reasons, all the Motion.s to DismiS.s. should b~,enied.
/7~
Respectfull
su nitte .
,\l..AJ'
Brett 'KUn' elin
Certificate of s'e~e
Icertify that I emailed copies of this motion and exhibits to attorneys for the named
defendants and Defendants Akbar, National Bloggers Club, and Stranahan, and mailed
copies to Michael Smith, and Defendants Hoge. Walker and McCain this
'
December, 2014.
~.
Bretterlin
~
8100 Beech Tree Rd
8ethesda, MD 20817
tmp@comcast.lll't
Ex A, p. 8
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PRIORITY@
DATE OF DELIVERY SPECIFIED'
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INCLUDED'
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POST.dtSERVICE
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UNITEDSTIJ.TES
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USPS TRACKING'"
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INSURANCE
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Once that identity was known. KimberlinUnrnasked, aka Lynn Thomas, resolved that
state case and two federal cases Plaintiff filed against her.
8. In the case of ADS, his anonymity is hampering any possibility of Plaintiffs
resolving and settling this case with him.
Wherefore, for all these reasons, Plaintiff moves this Court to order counsel
identify ADS.
Res
B re
]
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u
til
erln
81 o~ eeeh Tree Rd
Bethesda, MD 20817
Iusticejtmo@comcastnet
Certificate of Service
I certify that I emailed a copy of this motion to Ron Coleman and all other
current attorneys in this case and Lee Stranahan and Ali Akbar, and mailed a copy to
Defendants Walker, Hoge, McCain and attorney Michael Smith this 12'" day of
December, 2014.
Ex A, p.10
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