thirstforjustice.tripod.com/dandlpetint2116.html

Document List of 020116 in Dan int

1. D/L of 020116

10. Unclassified Daniggelis Intervention Report of 2/11/16, Including Record of Time and Expenses

2. Robert J. More's 2016 Petition to ISMA Exec. Committee for Renewal of Commission

3. NOM of 2/1/16

3. Component of Petition of 2/1/16

4. Invitation to CCCC, IL Judge S. Taylor to Demonstrate Non-incurrment of a.) Criminal and b.) Tort Liability in His Adjudication of GMAC v ..., Daniggelis et al

5. Petition for Indictment of CCCC, IL Judge Scully

6. Petition for Indictment of CCCC, IL Judge M. Otto

7. Petition for Indictment of CCCC, Judge S. Taylor

8. Petition to JIB Regarding CCCC, IL Judge S. Taylor

9. Civil Complaint Against CCCC, IL Judge M. Otto, G. Scully, S. Taylor

11. ...Motion to Reconsider ...of 3/5/16...for 6/3/16....

12. Initial Component of 1/27/16 of Proposed Release and Satisfaction of Robert J. More of 1/27/16 in Regard to GMAC v ...Daniggelis Intervention

13. Initial Component of 1/27/16 of Proposed Stipulation of 01/27/16 of GMAC, J. Younes, R. Daniggelis that neither any res judicata nor collateral estoppel defense will ever be posited against any claim which Robert J. More would ever make in the future in any theatre regarding Any and All Matters this Conveyance Concerns

Document # 12 from D/L of 020116 - Dan int

Initial Component of 1/27/16 of Proposed Release and Satisfaction of Robert J. More of 1/27/16 in Regard to GMAC v ...Daniggelis Intervention

I, Robert J. More ("RJM") , do herein confirm that if the sum from whatever source(s) in regard to GMAC v ...Daniggelis Intervention, in whatever arrangement(s) of combination(s) of remitters and/or sums remitted of $50.000.00 were to be received by 3/1/2016, by Attorney Thomas M. Dixon of Osceola, IN, to hold in trust for the use by Mr. Jeffrey Lonigro, Mr. Bradley Ball, Mr. Frederick and Mr. Robert Dimond and/or the members of the mailing list possessed by the entity whose legal name is "Most Holy Family Monastery" over which the Dimonds and Richard Ibranyi disputed in the past, who adhere to the Plain Language Meaning of the 1441 Encyclical Cantate Domino ("PLMCD") , are still alive and under 70 years old ,for the purposes of performing the spiritual and corporal works of mercy of the Roman Catholic Church according to such formula that the divestiture from RJM of any such funds would be at least the demonstrable equivalent in the opinion of T. Dixon, of such sum having been disbursed in equal shares to 2000 adherents to the PLMCD and for the specific purposes of the provision of assistance to widows and orphans referenced in Jas. 1:27, and/or any use considered by Mr. Ball, Lonigro and/or the Dimonds to be of commensurate importance, confirming that the permission for the use of the names of those referenced herein has yet to be procured, that I will forever forswear any claim to any damages from any of those who are presently listed as parties in the case this document concerns and/or from anyone who has adjudicated any of the disputes concerned, from any activity conducted whereby, respectively.

/s/ Robert J. More 1/27/16



Document # 13 from D/L of 020116 - Dan int

Initial Component of 1/27/16 of Proposed Stipulation of 01/27/16 of GMAC, J. Younes, R. Daniggelis that neither any res judicata nor collateral estoppel defense will ever be posited against any claim which Robert J. More would ever make in the future in any theatre regarding Any and All Matters CCCC, IL Case # .... Captioned "GMAC" v Younes, Daniggelis, et al. Concerns

On behalf of (GMAC) (J. Younes) ((R. Daniggelis) I, ... do herein stipulate that neither any res judicata nor collateral estoppel defense will ever be posited against any claim which Robert J. More would ever make in the future in any theatre regarding the Matters this Conveyance Concerns

_________________________on behalf of _______________________________,___________,

(GMAC) (J. Younes) ((R. Daniggelis) Date





Circuit Court of (Nominally) Cook County, IL

GMAC

v Case #

Younes, Daniggelis, et al



Prospective Intervenor Robert J. More's ("RJM") Initial Component of 2/1/16 of Petition for Intervention of 2/1/16 to be Superseded, Modified, Retracted or Otherwise Subjected to Processing as the Dispositions of Providence Might Permit Within the Apprehension of RJM Regarding the Application of the Requirements of the Moral Law to the Matters this Document Concerns, in Which RJM Demands an Acknowledgement of His Endeavors to Intervene in this Case, a Particularized Addressing of Each and Everyone of the Issue Previously Presented to this Court, an Adjudication of the Standard and Method of Adjudication Demands Most Recently Posted in the thirstforjustice.tripod.com website and Now that There has been a Death in the Malhuer Wildlife Refuge Occupation, a Stay of the Case this Document Concerns Until Either Such Dispute has been Acceptably Resolved or the 2016 Election has Passed, Whichever would be the Later, So That Limited Resources and Time can be Used to Protect Everything Worthy of Protection from the Demonstrably Greater of Evils that the Consequences of an Attempt to Impose Martial Law would Constitute and for This Court to Take Judicial Notice of the Proposed Release and Satisfaction and Proposed Stipulation transmitted by RJM to the various parties amenable to document transmission via email Prior to 2/4/16, Which Are Included in the Documents Accompanying this Document

Now comes RJM to move this Court to grant the consideration referenced in the title to this document.

Robert J. More 1 Cor. 10:13, Matt. 6:13, via 1 Jn. 4:1-6 Deliverance from All Evils Seeker