Request #20-391
  Closed

Please see attachment. 

 

I require Out-On-Bail, Criminal Records, Incarceration Records, and ALL Records you have on file for the following Defendants:


MAGDALENA NARBUNTOWICZ aka Andrzej Narbuntowicz aka Julie Jones aka Joanna Kossifos aka MaryAnne El Taher aka Carol Cono aka Madelyne Bloom aka Madelyne and many other Aggravated Identity Theft names impersonated by Madelyne.


She may be a CIA Agent and "dirty cop" committing mass-murder for mass-grand larceny of tycoons and wealthy Americans. She owes THE UNITED STATES OF AMERICA TREASURY billions of dollars. She has committed further crimes of Money Laundering, Tax Evasion, Treason and Terrorism.


I am prosecuting Madelyne as a Civil Pro-Se Plaintiff and require her entire file to admit to the court.


I need the entire file and all records you have for:


1
. Madelyne aka Magdalena/Andrzej Narbuntowicz
2. Henry Kerner
3. John DeSheplo (BridgeView Associates)
4
. Simone Cagua Silva
5
. Mariana Carvalho
6. Tod Cooperman
7
. Kelvin Tse (Vice President - City National Bank, 555 S. Flower St, Los Angeles, CA)
8. Lynn Klein (Nordic Security, Costa Mesa, CA)


Also I need
the entire file and all records you have for:

 

1. Steven Baskin (JDM Associates, JDM Accountants)
2
. Steven Klein
3. Anthony D'Arienzo
4.
Mark D'Arienzo
5
. Nicole D'Arienzo
6
. Anna Marie Theresa Loiacono Walker
7. Joseph Loiacono
8
. Maria R. Loiacono
9. Mirella Loiacono
10
. James Hutchings
11. Rebecca James aka Katherine King (OSC)
12. Deborah James aka Debbie King (IRS)
13
Mike Jones
14Chauncey Lawson (OSC)
15Pamela Lawson (Mirella Loiacono's S
16Mark Seidenberg (Nordic Security, Costa Mesa, CA)
17
Peter Jensen (Nordic Security, Costa Mesa, CA)
18. Pete DeCaro (American Communications Association)
19
. Dr. Jim Parker (American Communications Association)
20.
Dr. Vernon Humphrey (American Communications Association)
21Santo Gentile
22. David Gentile
23
. Josephine Gentile
24Joann Cardali Gentile
25
. Richard "Rick" Cardali
26John Cardone (IRS)
27
. Dan Zwillenberg
28
. Anthony Cureton
29
. Fran Napoletano
30. Kimberly Dawn Provenzano
31. Mike Griffin
32
. Kerry Hutchings

33. Sandra - Supervisor Foreclosure Department and Supervisor Service of Summons and Complaint - Bergen County New Jersey Sheriff's Dept

 

Furthermore, I have filed a Motion of Joinder & Motion to Intervene by The Attorney General.


I am also asking permission and 'requesting" a Motion of Joinder & Motion to Intervene by the:
Los Angeles County District Attorney
Los Angeles City Attorney
LAPD - Los Angeles Police Department


I will file a Motion of Joinder & Motion to Intervene with the courts.
Please advise on other things I require.


My 4 children (Kailey Cono, Kyle Cono, Krista Cono, Colin Cono) have been murdered.


My 2 step children have been abducted, kidnapped, molested and raped. I filed a protective order T.P.Oand Judge Denise L. Gentile that is a "Strip Club Owner" denies that she has a family relation with "the Gambino" and "the Carvalho" crime families. She unlawfully dismissed my divorce, T.P.O., and paternity cases.


There is a "simultaneous adoption" case occurring that is "sealed from me", the father and plaintiff of my step-children.


Also intervention is required by "The IRS", "The FBI", and "The Homeland Securitybecause of Grand-Scale Money Laundering and Massive Tax Evasion for thousand of clients of accounting firm www.gpb.net and www.gpb-cap.com. They were recently raided by The FBI.


https://scientologvmonevproiect.com/2019/03/07/waste-management-firm-owned-bv-gpb-capital-is-raided-bv-the-fbi-troubles-continue-for-scientologist-david-gentiles-firm/ 

 

 

 


Received

January 8, 2020 via email


Departments

Police Department (LAPD)

Documents

Public

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Staff

Point of Contact

LAPD Sr Analyst Alexis N1685

External Message   Hide Public

Dear Requester:

 

You FOIA request was forwarded to the CPRA Unit for handling.  We are responding only to your request as one made pursuant to the California Public Records Act, which is separate and distinct from a subpoena.  If you served a subpoena, please contact the Subpoena Duces Tecum Unit at (213) 847-3615 for information on that request.  Thank you.

January 17, 2020, 7:21pm by LAPD Sr Analyst Alexis N1685, Sr. Management Analyst (Staff)
External Message   Hide Public

I SUBMITTED A SUBPOENA AND

"I DEMAND THESE RECORDS" TO PROSECUTE BOTH CIVILY IN COURT AND PRESS CRIMINAL CHARGES.

 
PLEASE REVIEW MY SUBPOENA.
 
IF YOU ARE DENYING ME OR REFUSING TO PROVIDE RECORDS TO ME
PLEASE GIVE A REASON FOR REFUSAL.
 
I SUBMITTED A SUBPOENA ALREADY.
 
I WILL PERSUE THIS TO THE FULLEST EXTENT INCLUDING SUPREME COURT AND DISCIPLINARY ACTIONS/COMPLAINTS.
January 17, 2020, 10:17am by the requester
External Message Public
I SUBMITTED A SUBPOENA AND I DEMAND THESE RECORDS TO PROSECUTE BOTH CIVILY IN COURT AND PRESS CRIMINAL CHARGES. PLEASE REVIEW MY SUBPOENA.
January 17, 2020, 9:51am by the requester via email
External Message Public
I already submitted a SUBPOENA. What is the reason you are DENYING THIS REQUEST?
January 17, 2020, 9:50am by the requester via email
Request Published Public
January 17, 2020, 8:33am
Request Closed   Hide Public

Dear Requester:

 

We reviewed your request for copies of the Los Angeles Police Department’s crime and incident reports concerning numerous individuals.

 

Your request was made under the California Public Records Act (the Act). The Department is cognizant of its responsibilities under the Act. It recognizes the statutory scheme was enacted to maximize citizen access to the workings of government and does not mandate disclosure of all documents within the government’s possession. Rather, by specific exemption and reference to other statutes, the Act recognizes that there are boundaries where the public’s right to access must be balanced against such weighty considerations as the right of privacy, a right of constitutional dimension under California Constitution, Article 1, Section 1. The law also exempts from disclosure, records that are privileged or confidential, or otherwise exempt under either express provisions of the Act or pursuant to applicable federal or state law, per California Government Code Sections 6254(b); 6254(c); 6254(f); 6254(k); and 6255.

 

In accordance with the California Government Code, Section 6254(f), records of investigations conducted by, or investigatory files compiled by, any local police agency for law enforcement purposes are exempt from disclosure. To the extent that records were located, they are either investigatory records themselves or properly part of an investigative file. Therefore, we are denying your request. The records may be provided pursuant to a subpoena or court order related to pending litigation.

 

Should any records be located, to the extent the information is recorded, the time, date, and location of occurrence, the time and date of the report, the name and age of the victim, and a brief statement of the circumstances can be made available to you upon request.  However, we will need additional information from you in order to identify potentially responsive records.

 

If you are the victim or the victim’s legal representative, you may contact the Los Angeles Police Department’s Records and Identification Division at (213) 486-8110 for further information on obtaining reports for victims of crimes.

 

If you have any questions, please respond to this email.

 

Respectfully,

 

LAPD Discovery Section, CPRA Unit

January 17, 2020, 8:32am
Department Assignment Public
Police Department (LAPD)
January 16, 2020, 3:29pm
Request Opened Public
Request received via email
January 16, 2020, 3:29pm