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Appellants' May 31, 2019 Motion
for Reargument/Renewal & Vacatur,
Determination/Certification of Threshold Issues, Disclosure/Disqualification & Other Relief


* * *
ESTABLISHING A.G. JAMES' KNOWLEDGE --

CJA's June 3, 2019 transmitting e-mail
to Solicitor General Underwood & Assts. Paladino & Brodie
-- 
"...Attention Required by Attorney General James, Personally" --

"So that there is no doubt as to Attorney General James' actual knowledge
of what has been going on, in her name -- and her criminal and disciplinary culpability therefor -- please immediately forward to her."  (bold, in original)


CJA's June 3, 2019 affidavit of service

* * *
Court receipt -- #2019-645

* * *

Appellants' Notice of Motion

May 31, 2019 moving affidavit

TABLE OF EXHIBITS

Exhibit A-1:     The Court’s May 2, 2019 Order sua sponte dismissing appellants’
                      appeal of right, signed by Deputy Clerk Heather Davis

Exhibit A-2:     Appellants' records request pursuant to §124 of the Chief Administrator’s
                      Rules & FOIL

Exhibit B:        Deputy Clerk Davis' signed acceptance of service on
                      September 2, 2016, of appellants’ summons and verified complaint

Exhibit C:        Deputy Clerk Davis’ March 4, 2019 letter of the Court’s sua sponte
                      inquiry into its subject matter jurisdiction

Exhibit D:        Appellants’ “legal autopsy”/analysis of the Court’s May 2, 2019 Order

Exhibit E:        ¶¶6, 11-15 of appellant Sassower’s November 27, 2018 moving
                      affidavit, furnishing legal authorities and argument relevant to
                      appellants’ Questions pertaining to Judiciary Law §14 and “Rule
                      of Necessity”
                             click here for: webpage for Nov. 27, 2018 Order to Show Cause

Exhibit F-1:     “QUESTIONS FOR CHIEF ADMINISTRATIVE JUDGE LAWRENCE MARKS”
                      pertaining to Judiciary’s proposed budget for fiscal year 2019-2020
                      & Governor’s Legislative/Judiciary Budget Bill #S.1501/A.2001

Exhibit F-2:     Appellants’ written testimony to Legislature, February 19, 2019

Exhibit F-3:     “QUESTIONS FOR FORMER TEMPORARY SENATE PRESIDENT JOHN
                      FLANAGAN, & ASSEMBLY SPEAKER CARL HEASTIE, & FOR
                      TEMPORARY SENATE RESIDENT ANDREA STEWART-COUSINS”
                      pertaining to the Legislature’s proposed budget for fiscal year
                      2019-2020 &  Governor Cuomo’s Legislative/Judiciary Budget Bill
                      #S.1501/A.2001

Exhibit G:        Appellants’ December 31, 2015 letter addressed to then Westchester
                      District Attorney/Chief Judge Nominee DiFIORE – “So, You Want to
                      be New York’s Chief Judge? – Here’s Your Test: Will You Safeguard
                      the People of the State of New York – & the Public Fisc?”
                                    click here for: webpage for Dec. 31, 2015 letter

Exhibit H:       Appellants’ January 15, 2016 letter addressed to then Temporary Senate
                      President Skelos and to Assembly Speaker Heastie – “IMMEDIATE
                      OVERSIGHT REQUIRED”: (1) The Commission on Legislative, Judicial and
                      Executive Compensation and its statute-repudiating, fraudulent, and
                      unconstitutional December 24, 2015 Report with ‘force of law’ judicial
                      salary recommendations; (2) The Senate Judiciary Committee’s January
                      20, 2016 public hearing to confirm the nomination of Westchester District
                      Attorney Janet DiFiore as New York’s Chief Judge – and the deceptive
                      notice concealing that oral testimony is restricted to the nominee and bar
                      associations”  
                                click here for: webpage for Jan. 15, 2016 letter

Exhibit I:        unsigned April 23, 2014 order to show cause and pages 1-7 of appellant
                     Sassower’s moving affidavit to intervene in the declaratory judgment
                     action against the Commission to Investigate Public Corruption, allegedly
                     brought by the Senate, Assembly, and their majority leaders
                                 click here for:  webpage for record of April 23, 2014 OSC

Exhibit J:       pages 44-47 of appellants’ September 30, 2016 memorandum of law,
                    furnishing law & legal argument pertaining to the Attorney General
                    under the title “The Court’s Second Threshold Duty: to Ensure that the
                    Parties are Properly Represented by Counsel” [R.517-520]

Exhibit K-1:   Appellants’ May 18, 2018 coverletter to Interim Attorney General
                    Candidates, with cc to Acting Attorney General Underwood –
                    “Testing the Fitness of Acting Attorney General Barbara Underwood –
                     & Every Other Candidate for Interim Attorney General”

Exhibit K-2:    Appellant’s May 16, 2018 NOTICE/corruption complaint to Acting
                     Attorney General Underwood   
                                  click here for: webpage for May 16, 2018 NOTICE/complaint

Exhibit L:       Appellants’ May 30, 2018 letter to Attorney General Underwood –
                     “
What is the Status? – CJA’s May 16, 2018 letter: NOTICE
                            (1)
Disclosure of facts giving rise to your duty to secure appointment
                                 of independent/outside counsel to investigate and report on your
                                 ethical and law enforcement obligations with respect to the May
                                 16, 2018 NOTICE, or a special prosecutor…”

                                                           click here for: webpage for May 30, 2018 letter

Exhibit M:        Appellants’ March 11, 2019 e-mail to Solicitor General Underwood, etc. –
                        “…extensions request”

Exhibit N:         Appellants’ April 11, 2019 e-mail to Solicitor General Underwood, etc. –
                        “Immediate Attention Required – & by Attorney General James,
                        Personally..."

 

 

Appellants' March 26, 2019 letter
"In Support of Appeal of Right: NYS Constitution, Article VI, §3 (b)(1); CPLR 5601(b)(1)"

Appellants' April 11, 2019 letter
"Aiding the Court in Protecting Itself & Appellants’ Appeal of Right
from the Litigation Fraud of the New York State Attorney General
"

NYS Criminal Defense Lawyers Association v. Kaye
95 N.Y.2d 556 (2000)    2001

citing Schulz v. NYS Legislature, 92 N.Y.2d 917 (1998)

General Motors Corp. v. Rosa, 82 N.Y.2d 183 (1993)

Maron v. Silver, 14 N.Y.3d 230, 249 (2010)

Pines v. State of New York,115 A.D.3d 80 (2nd Dept 2014)

Wilcox v. Supreme Council of Royal Arcanum, 210 N.Y. 370 (1914)

 

Caperton v. Massey Coal, 556 US 868 (2009)

New York Court of Appeals Civil Jurisdiction and Practice Outline

New York Court of Appeals 2018 Annual Report

 

see: 2019 LEGISLATIVE SESSION --
for distribution to Senate & Assembly leadership & members of appellants' February 19, 2019 written testimony with QUESTIONS on Judiciary & Legislative Budgets

*  *  *

click here for:
RECORD:  CJA's SECOND citizen-taxpayer action

click here for:
MENU OF CJA's JUDICIAL COMPENSATION WEBPAGES

 

 

 

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